United States v. Derrick Smythe, Also Known as "D,"United States v. Derrick Smythe, Also Known as "D,"
We here make clear that a defendant possesses a dangerous weapon within the meaning of U.S.S.G. § 2D1.1(b)(1) when he trades drugs for guns.
Background
Defendant-appellant Derrick Smythe pled guilty to conspiring to distribute crack cocaine in violation of
Discussion
“We review the district court’s interpretation and application of the Sentencing Guidelines
de novo,
and its findings of related fact for clear error.”
United States v. Smith,
The act of trading drugs for guns is certainly conduct relevant to the charged offense of conspiring to distribute narcotics, and given the nature of the transaction arranged with the underсover agent, the presence of the firearms was indisputably foreseeable. Smythe argues, however,
The Guideline is a
per se
rule that does not require a case-by-case determination that firearm possession made a particular transaction more dangerous. In any event, the dangerous-weapon enhancement reflects the understanding that the mere presence of firearms in connеction with a drug transaction can increase the risk of violence. Indeed, “[t]he mere presence of a gun,
loaded or not,
can escalate the danger.”
United States v. Mitchell,
We see no reаson why courts applying U.S.S.G. § 2D1.1(b)(l) should “draw a fine metaphysical distinction between a gun’s role in a drug offense as a weapоn and its role as an item of barter; it creates a grave possibility of violence and death in either capacity,”
Smith,
Conclusion
For the foregoing reasons, the judgment of the district court is Affirmed.
Notes
. The Supreme Court in
Smith
held that a defendant "uses” a firearm within the meaning of
Whether, when it comes to "use” of a firearm, we should distinguish the receipt of guns for drugs (this case) from the rеceipt of drugs for guns, as we suggested in
Cox, see