United States v. Alvizo-TrujilloUnited States v. Alvizo-Trujillo
Donaciano Alvizo-Trujillo pled guilty to illegal re-entry into the United States in violation of
I.
At the sentencing hearing, Alvizo-Trujillo asked the district court to vary downward from the applicable Guidelines range based upon the
After the government’s comments, the district court stated that “[t]he guideline range is presumptively a reasonable range. At least, until the Supreme Court says otherwise, that’s the extant law of this Circuit.” The district court stated that it was required to consider the
The district court asked Alvizo-Trujillo’s counsel if there was anything else, and counsel stated no.
II.
In our review of this sentencing, we “first ensure that the district court committed no significant procedural error, such as failing to calculate (or improperly calculating) the Guidelines, range, treating the Guidelines as mandatory, failing to consider the
Appellate courts may apply a presumption of reasonableness to a sentence within the Guidelines.
Rita,
Alvizo-Trujillo failed to object to the district court’s presumption that the Guidelines were reasonable, both at the time the district court stated the presumption and after the district court sentenced him. “Procedural sentencing errors are forfeited, and therefore may be reviewed only for plain error, if the defendant fails to object in the district court.”
United States v. Burnette,
Under plain error review, the defendant must prove an error that is plain and that affects the defendant’s substantial rights.
Id.
at 550. If those conditions are met, we may correct the error “only if ... the error seriously affects the fairness, integrity, or public reputation of judicial proceedings.”
Id.
The error in this case was plain.
Burnette,
The error, however, did not affect Alvizo-Trujillo’s substantial rights. To affect substantial rights, the error generally must be prejudicial.
United States v. Olano,
III.
We affirm the judgment of the district court.