United States v. Candace ScottUnited States v. Candace Scott
Some crimes defy comparison, like Candace Scott‘s decision to sell human body parts on Facebook. She believes the 180-month sentence she received is too high, but we affirm.
Scott had access to cadavers as an apprentice mortician. Using Facebook Messenger, she contacted a body-parts collector to ask if he knew anyone who was
Once the FBI caught on to her scheme, agents raided her home. During the search, they uncovered body parts stuffed in trash bags and boxes, including a brain and a heart. She pleaded guilty to interstate transportation of stolen property, see
We conclude otherwise. See United States v. Feemster, 572 F.3d 455, 461 (8th Cir. 2009) (en banc) (recognizing that we review sentences, even those “outside the Guidelines range,” under “a deferential abuse-of-discretion standard” (citation omitted)). The record shows that the district court sufficiently considered the statutory sentencing factors, see
In doing so, it emphasized the “nature and circumstances” of Scott‘s offenses,
It also discussed the need to deter copycats. See
It makes no difference that another supplier received only 15 months. The district court tailored the sentence to fit what Scott did, which included stealing the body parts herself. Cf. United States v. Dickson, 127 F.4th 722, 730 (8th Cir. 2025) (noting that “relief based on a comparison to co-conspirators is . . . unusual” (citation omitted)); United States v. Granados, 962 F.2d 767, 774 (8th Cir. 1992) (explaining that “disparit[ies] will always exist” because “sentences are based upon the specific facts of each individual defendant‘s case“).
We accordingly affirm the judgment of the district court and deny Scott‘s motion to supplement the briefing.