Appellant Harold Wayne Windham was sentenced to 130 months imprisonment and other punishment after he pled guilty to one count of possession of amphetamine. On appeal, he challenges three facets of the district court's sentencing decision. We have reviewed each of them and find no reversible error.
Windham first contends that the district court erred in sentencing him based on relevant conduct that consisted of distribution of amphetamine in quantities ranging from 500 to 2,000 grams. He argues that the PSR and testimony at his sentencing hearing were “confused and overlapping” in regard to the quantity of drugs with which he had been associated. He particularly challenges the statements that confidential informant #21 was reported to have made, linking him to a number of multiple-ounce deliveries to Judy Copeland Jones in the fall, 1991. He asserts that confidential informant #21 was not credible, because the district court discounted his statement that on one occasion, Wind-ham possessed a firearm in a briefcase.
The quantity of drugs attributable to a defendant in connection with sentencing is shielded by the clearly erroneous standard on review. As Windham’s brief acknowledges, the court was entitled to consider any sentencing information so long as it had “sufficient indicia of reliability to support its probable accuracy.”
United States v. Michael,
Windham next contends that the court erred by refusing to grant a two-level reduction in his base offense level for being a “minor participant.” As this court has said, because most offenses are committed by participants of roughly equal culpability, “it is intended that [this type of adjustment] will be used infrequently.”
United States v. Nevarez-Arreola,
Windham finally objects to the district court’s refusal to grant him a two-level reduction for acceptance of responsibility. Although he admitted possession
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of 9/ioths of a gram of amphetamine on the date on which he was arrested, he refused to comment on or take responsibility for previous dealings in drugs. Under the Sentencing Guidelines interpretation then applicable in this court, Windham was required to accept responsibility not only for the offense of conviction but for all his “relevant criminal conduct.”
United States v. Alfaro,
The sentencing determination of the district court is AFFIRMED.
