Defendant appeals his sentence following conviction for possession of an illegal weapon, arguing that the sentencing guidelines issued by the United States Sentencing Commission are unconstitutional. Because we conclude that the guidelines are constitutional, we affirm.
I.
Defendant was indicted by the grand jury on four counts of possession of an illegal weapon in violation of 26 U.S.C. §§ 5861(d) and 5871. Count I alleged that defendant illegally possessed the firearm on October 1, 1987. Counts II, III, and IV all alleged that defendant illegally possessed a firearm subsequent to November I,1987. Defendant pled guilty to Counts I, II, and III.
At sentencing, the district court applied the sentencing guidelines as promulgated by the United States Sentencing Commission pursuant to the Sentencing Reform Act of 1984, 28 U.S.C. §§ 991-98 (Supp. IV 1986), to determine defendant’s sentence on Counts II and III. The court concluded that the guidelines required a sentence in the range of twelve to eighteen months, and therefore sentenced defendant to eighteen months in prison on both Count II and Count III. The court did not apply the sentencing guidelines to Count I because they did not take effect until November 1, 1987. Without reference to the guidelines, the court sentenced defendant to eighteen months in prison on Count I as well. The eighteen-month sentences on all three counts are to run concurrently.
Prior to the court’s imposition of sentence, defendant filed a motion requesting that the court sentence him without regard to the guidelines. In support of this motion, defendant argued that the sentencing guidelines were unconstitutional on a variety of grounds. The district court, ruling from the bench, denied defendant’s motion, and held that “I do not believe that it is my function to find that these guidelines, or the way the Commission was set up, or empowered, is unconstitutional.” Defendant now appeals the district court’s refusal to disregard the sentencing guidelines.
II.
The majority of defendant’s arguments against the constitutionality of the sentencing guidelines were rejected by the Supreme Court’s recent decision in
Mistretta v. United States,
— U.S. -,
With respect to this argument, defendant essentially adopts the position advanced by,
inter alia,
the Central District of California in
United States v. Ortega Lopez,
The argument raised by defendant here was considered, and rejected, by all three appellate courts which thus far have addressed it.
United States v. White,
This holding is supported by prior Supreme Court dicta. In
United States v. Grayson,
Congress properly delegated the authority to fix sentencing guidelines to the United States Sentencing Commission.
Mistretta,
— U.S. at -,
