Edgar Cherry Gant was charged in the United States District Court for the Southern District of Texas with violating 18 U.S.C. app. § 1202(a)(1),
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which prohibits convicted felons from possessing firearms. Gant waived a jury trial and the case proceeded primarily upon an agreed stipulation of facts. Gant stipulated to a prior felony conviction and the interstate commerce jurisdictional requirement but asserted the justification defenses of duress and necessity. After considering the evidence and supplemental briefs addressing these defenses, the district court entered a general verdict of guilty
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and made specific findings “[tjhat at the time of the possession charged, the defendant Gant had reason to believe that he was in danger of his life or serious bodily harm or loss of property; that he did not institute that situation himself.” On appeal Gant contends that the common-law defenses of duress and necessity are available against a charge of violating 18 U.S.C. app. § 1202(a)(1) and that the evidence adduced in support of these defenses entitles him to acquittal. While our recent decision in
United States v. Panter,
The government contends that § 1202(a)(1) is unambiguous and has no express justification exemptions, and that duress and necessity should be considered, if at all, in mitigating the penalty assessed after conviction. The teachings of the Supreme Court in
United States
v.
Bailey,
Having clarified this apparent uncertainty, the remaining issue is whether the record contains sufficient evidence to support the conviction,
Hall v. United States,
At 8:30 p.m. on Thursday, November 12, 1981, Officers Lewis and Byrd of the Harris County Sheriff’s Department entered the business offices of Texas Transportation Company, which is owned and operated by Gant. When the officers, entered the premises, they were acting in an undercover capacity and were dressed in blue jeans, sport shirts, windbreakers, and tennis shoes. The officers offered to sell Gant a .45 caliber machine gun. After he refused to purchase the gun, Gant summoned Andrews, an employee, from the storage area. Andrews inspected the gun and renewed the refusal to purchase. When the officers continued their sales efforts, Andrews and Gant excused themselves and retreated to the storage area to confer. Having been subjected to a robbery attempt a few weeks earlier, they speculated that another was in the making and decided to prevent the attempt by running the two men off the premises. Andrews felt capable of enforcing this effort since he was carrying a pistol, but Gant was unarmed. Although confident of his ability to evict the men, Andrews desired a back-up and suggested that Gant retrieve a pistol from the second drawer of a filing cabinet in Gant’s office. Unfortunately, Gant complied with his employee’s request. Upon reentering the drivers’ room with the pistol butt protruding from his pants pocket, the officers identified themselves, pulled out their revolvers, and placed everyone under arrest.
Gant contends that these facts entitle him to acquittal based upon duress or necessity. He stresses the district court’s specific findings as supporting his claim. These findings alone, however, are insufficient to establish either affirmative defense. To interpose a justification defense to a charge of violating 18 U.S.C. app. § 1202(a)(1), defendant must show (1) that defendant was under an unlawful and “present, imminent, and impending [threat] of such a nature as to induce a well-grounded apprehension of death or serious bodily injury,”
United States v. Bailey,
As the Supreme Court emphasized in
Bailey,
“one principle of these justification defenses remains constant: if there
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was a reasonable, legal alternative to violating the law, ... the defense will fail.”
Bailey,
The [justification defense] does not arise from a “choice” of several sources of action; it is instead based on a real emergency. It may be asserted only by a defendant who was confronted with a crisis as a personal danger, a crisis that did not permit a selection from among several solutions, some of which would not have involved criminal acts.
United States v. Lewis,
To assert either defense, Gant must also show that a direct causal relationship could be reasonably anticipated between the proscribed action and the avoidance of the threatened harm. This element is often encompassed in the lack of alternatives determination.
E.g., United States v. Mauchlin,
The verdict implies a finding that the causal relationship between the possession of a firearm and the abatement of the threat of death or serious bodily injury could not be reasonably anticipated. Although defendant’s possession and probable use of a gun makes a robbery attempt less attractive, it does not eliminate defendant’s danger. The present situation should be distinguished from the hypothetical dis
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cussed in
Panter,
in which the convicted felon disarms his assailant and holds him at bay.
Panter,
We emphasize that since the justification defenses are affirmative defenses, defendant must demonstrate each element before he may successfully raise the defense of duress or necessity. We agree with the district court that no justification defense was present in this case because defendant failed to show that he had no reasonable, legal alternatives and that the possession of the firearm could be reasonably anticipated to abate the threat of death or serious bodily injury created by the presumed robbery attempt. The conviction by the district court is therefore
AFFIRMED.
Notes
. Section 1202 provides in part:
(a) Any person who—
(1) has been convicted by a court of the States or any political subdivision thereof of a felony, and who receives, possesses, or transports in commerce or affecting commerce, after the date of enactment of this Act, any firearm shall be fined not more than $10,000 or imprisoned for not more than two years, or both.
. Gant was- sentenced to two years imprisonment.
. Commentators disagree on which defense-— duress or necessity — is appropriate to assert in this situation. One view would classify this as duress because the coercion had its source in the actions of other human beings, rather than in physical forces beyond the actor’s control.
See Bailey,
. The agreed stipulation of facts provides in part:
1. On July 11, 1972, Edgar Cherry Gant, Defendant herein, was convicted in a Court of the United States of a felony punishable by a term of imprisonment in excess of one year.
2. In 1973, the Smith and Wesson Model 34, .22 caliber revolver, serial number M61223, was manufactured by said company at 2100 Roosevelt Avenue, Springfield, Massachusetts.
3. On October 17, 1973, said above described firearm was transported from Springfield, Massachusetts to Dallas, Texas.
10. Deputy E.E. Lewis immediately took the pistol, described in Count Two of the indictment from Defendant Edgar Cherry Gant’s right pants pocket, from which it was protruding.
. To justify criminal conduct under the theory of choice of evil (necessity), the Code requires that “the harm or evil sought to be avoided by such conduct [must be] greater than that sought to be prevented by the law defining the offense charged.” Model Penal Code § 3.02(1 )(a) (1974). The legislative history provides some aid in determining what harm or evil Congress sought to avoid with the enact
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ment of 18 U.S.C. app. § 1202. See
generally Stevens v. United
States,
. Some commentators argue that an explicit causal relationship is necessary for the assertion of the defense of duress. See note 3, supra.
. The district court found that “Gant had reason to believe that he was in danger of his life or serious bodily harm or loss of property.” Since the threat of loss of property without more never justifies the use of deadly force,
e.g., McNabb v. United States,
. The district court found that Gant “did not institute that situation himself.” Since the district court made limited specific findings, it could have analyzed Gant’s mode of business operation as an alternative rather than under this element. Although Gant knew, that the business was located in a high crime neighborhood, he chose to keep substantial amounts of cash on hand to cash his drivers’ pay checks. Experience did not prove to be a good teacher for Gant because even after a robbery attempt, Gant chose to maintain his check cashing policy and chose not to extend the protection from his security guard to cover the few extra evening hours on Thursday nights when he maintained this cash. While the district court could have determined that changing his business procedures was a reasonable and legal alternative to the possession of a firearm, it could have found that Gant’s choice of operating procedures placed him in a situation in which he would probably be forced to resort to the criminal possession of a firearm. We need not resolve which determination was more appropriate because Gant failed to demonstrate the other elements necessary for either defense.
. These four requisites are merely elements common to both duress and necessity and do not define the precise contours of either. For example, continued possession beyond the time that the emergency exists will defeat the defenses.
E.g., Panter,
. Andrews testified that when Gant reentered the room with the pistol, “[a]ll hell broke loose. The next think (sic) 1 saw was a big gold badge and two big pistols pointed at all and said ‘You all are under arrest.’ ” Record at 18.
