Appellant Genaro Alvarado-Martinez challenges his sentence, arguing that the district court improperly relied on a California Law Enforcement Telecommunica
FACTS AND PROCEDURAL HISTORY
In June 2007, Alvarado-Martinez pleaded guilty to illegally reentering the United States after deportation, in violation of 8 U.S.C. § 1326(a), (b)(2). A modified pre-sentence-investigation report (“PIR”) recommended that the district court assign Alvarado-Martinez eighteen criminal-history points, which would place him in Criminal History Category VI under the United States Sentencing Guidelines. Eight of these criminal-history points were for four prior' misdemeanor convictions that are disputed on appeal. The probation office included these convictions based on a “rap sheet” that it obtained from the CLETS.
Alvarado-Martinez objected to the PIR’s assignment of eight criminal-history points, which were based on the misdemeanor convictions. Alvarado-Martinez also offered an affidavit, which indicated that, with the exception of the docket sheets, the district-court files in each of those cases had been destroyed. Alvarado-Martinez argued that because the files were unavailable, he should not be assessed criminal-history points on those convictions because the docket sheets in those cases, which had not been destroyed, do not contain information to establish a connection to him. Notably, although Alvarado-Martinez’s rap sheet includes the case numbers of the four misdemeanor convictions, the docket sheets that correspond with the case numbers identify the defendant as “Ismael Serratos.”
At sentencing, the district court compared the information on each docket sheet with the information on Alvarado-Martinez’s rap sheet and ruled that the government had met its burden, because there was enough consistency in numbers and details in the docket sheets to convince the court by a preponderance of the evidence that the four convictions were suffered by Alvarado-Martinez. Accordingly, the district court sentenced Alvarado-Martinez to fifty-one months’ imprisonment based on the full eighteen criminal-history points. Alvarado-Martinez appealed.
DISCUSSION
Alvarado-Martinez argues that the district court improperly assessed him eight criminal-history points based on four misdemeanor convictions because the government failed to prove that he suffered those convictions. In
United States v. Marin-Cuevas,
this Court set out the analytical framework to resolve such an argument.
1
I.
Turning to the first question, due process requires that a defendant be sen
We conclude that the district court did not abuse its discretion by determining that Alvarado-Martinez’s rap sheet was sufficiently reliable to be used in calculating his criminal-history score. 2 It is undisputed that the rap sheet at issue here was compiled on the basis of fingerprint matching. Thus, the fact that Alvarado-Martinez’s rap sheet refers to convictions in the name of Ismael Serratos or the fact that minor inconsistencies appear on it is of no moment, because the rap sheet is reliable as a result of the fingerprint matching. 3 Such a procedure provides “sufficient indicia of reliability to support [the] probable accuracy” of the convictions listed therein. § 6A1.3(a).
Our conclusion is consistent with this Court’s case law and persuasive authority. For example, in
Marin-Cuevas,
this Court held that a PIR was reliable because “the probation officer who prepared [the PIR] obtained his information from a reliable source[,] the computerized criminal history[,] and had no reason to prevaricate.”
II.
The next question is whether the record contains sufficient evidence to show that Alvarado-Martinez suffered the four misdemeanor convictions. The government bears the burden to show, by a preponderance of the evidence, that a defendant suffered each of the convictions used to assign points in calculating his criminal-history score.
See United States v. Romero-Rendon,
As an initial matter, Alvarado-Martinez cites no binding authority for that proposition. But more importantly, this Court has held that a presentence-investigation report, which relied on the defendant’s rap sheet, was sufficient to satisfy the preponderance-of-the-evidence standard.
See Marin-Cuevas,
Alvarado-Martinez argues that Marin-Cuevas is distinguishable because he disputed the fact of the misdemeanor convictions. But this claim mischaracterizes the record. In a sentencing memorandum, Alvarado-Martinez stated only that “the government cannot meet its burden of proof that the alleged convictions relate to [him], and no criminal history points should be assigned for these convictions.” And at his sentencing hearing, he challenged only the propriety of the government’s use of the rap sheet. As in Marin-Cuevas, Alvarado-Martinez “never denied he was convicted of those misdemeanors. He has argued only that the government failed to provide sufficient evidence.” Id. Because the record here contains sufficient evidence, namely the fingerprint-matched CLETS rap sheet, that Alvarado-Martinez suffered the four misdemeanors, the district court did not clearly err.
CONCLUSION
Accordingly, we AFFIRM.
Notes
. This case raises the question unaddressed by Marin-Cuevas, namely, whether a district court abuses its discretion by concluding that a fingerprint-matched rap sheet, in the absence of contrary evidence, is sufficiently reliable for assigning criminal-history points.
. We limit our holding to the circumstances presented here, namely the existence of a fingerprint-matched rap sheet and the absence of other evidence that would undermine the rap sheet's reliability. We express no opinion on the reliability of a rap sheet that is, for example, not compiled on the basis of fingerprint matching or is otherwise undermined by contradictory evidence.
. And, in any event, the rap sheet lists Ismael Serratos as an alias for Alvarado-Martinez. Other than the alias issue, Alvarado-Martinez conceded at oral argument that the record contains no other direct evidence that undermines the accuracy of his rap sheet.
