United States v. ConstantineUnited States v. Constantine
Michael James Constantine was convicted of being a felon in possession of a firearm, in violation of
I. Background
On November 18, 2009, St. Paul police arranged a sting operation to arrest Constantine, whom they suspected of illegally possessing firearms. As a part of the sting, an informant made several phone calls to arrange for Constantine to sell a small handgun to another man, Derrick Vail. At an agreed-upon time, Constantine and Vail got into a car together, with Vail driving and Constantine in the passenger seat. A police surveillance team followed them and eventually stopped the car. Though Constantine and Vail initially denied that there were guns in the car, police searched and found a gun Constantine was planning to sell to Vail. After finding the gun, police arrested Constantine for illegal possession of a firearm. In the police report accompanying the arrest, one of the arresting officers, Officer Mark George Nelson, simply notes that officers found the gun on the floor of the vehicle, without giving more details about its location.
At trial, Nelson testified not just that officers found the gun on the car floor, but that police found it under the passenger seat. This testimony was significant because it suggested that the gun was Con
When he took the stand, Rough gave the following testimony:
As we were approaching [the car], I heard other officers yelling: He is digging. He is digging. I could see the front passenger’s head dipping down and one of his shoulders was lower than the other. It appeared the person was reaching into the floorboards or underneath the seat to conceal something or get something from that area.
After the government questioned Rough, Constantine conducted a cross-examination. His questioning specifically centered on Rough’s memory and why neither Rough nor the police report previously mentioned Constantine reaching under the seat. Later, outside the presence of the jury, Constantine moved to strike Rough’s testimony or alternatively, for the court to declare a mistrial. The district court commented that it did not entirely approve of the Government’s failure to inform Constantine about the content of Rough’s testimony, but reserved judgment on the motion until the end of trial, when it would be clear how the testimony affected the trial.
At the close of evidence, the court revisited Constantine’s motion to strike Rough’s testimony or declare a mistrial. It found that, even viewing the facts most favorably to Constantine, “Defendant received a fair trial from a fair and impartial jury” and that “[t]he interests of justice do not require or otherwise obligate the Court to grant Defendant’s motion for a new trial.” The jury then found Constantine guilty of being a felon in possession of a firearm.
At the time of sentencing, Constantine had five prior convictions for burglaries of commercial buildings in Minnesota and Wisconsin. The pre-sentence report (PSR) concluded that, on the basis of these burglaries, Constantine was subject to
II. Discussion
A. The Admission of Rough’s Testimony
Constantine first challenges the district court’s failure to either grant his motion to strike or declare a mistrial after Rough’s testimony. At trial, Constantine phrased his objection in terms of
Although a district court may order disclosure, “criminal defendants have no right in noncapital cases to require disclosure of the list of government witnesses under
Because this is a non-capital case, Constantine did not have an automatic right to advance disclosure of the government’s witnesses. Furthermore, like in Krohn, Constantine did not request a continuance when the government called Kough to testify. Rather, he waited until after Rough’s testimony and cross-examination. Only then did Constantine move to either strike the testimony or for a mistrial. The district court was well within its discretion to deny both of those motions.
Furthermore, a district court does not abuse its discretion in such circumstances unless the defendant shows the lack of disclosure prejudiced his substantial rights.
United States v. Washington,
Constantine has not shown that the government’s failure to disclose its witness caused him substantial prejudice. Like in Barnes, Constantine had a full opportunity to cross-examine Kough. Even if the cross-examination was not as well-prepared or as smooth as it might have been had the government disclosed the substance of Rough’s testimony, Constantine was nonetheless still able to impeach Rough’s credibility. Constantine specifically highlighted the inconsistencies between Rough’s statements and the police report about where the gun was when officers arrested Constantine. While on the stand, Kough claimed he remembered Constantine “digging” around in the car for the gun, but neither he nor the initial police report had mentioned that detail before. In any event, the issue is not whether the defendant was actually able to effectively cross-examine a government witness, but whether he had ample opportunity to do so. Id. at 779. In this case, Constantine had that opportunity, either by cross-examining the witness on the spot, as counsel chose to do, or by requesting a continuance from the court in order to better prepare a cross-examination.
The district court also did not abuse its discretion by refusing to strike Rough’s testimony or declare a mistrial. First, the evidence is not inadmissible hearsay. The Federal Rules of Evidence makes hearsay inadmissible, subject to several exceptions. In this case, the Dis
The evidence is also not inadmissible under
B. Constantine’s Sentence
Constantine was sentenced under
We have repeatedly held that the term “burglary” in
Accordingly, we affirm the district court.
Notes
. The Honorable Donovan W. Frank, United States District Judge for the District of Minnesota.