Lemuel Tyra appeals from the district court’s order sentencing him to 108 months in prison for possession with intent *687 to distribute more than five grams of cocaine base (crack), 21 U.S.C. § 841(a)(1). Tyra argues that the district court did not follow the proper post-Booker procedures when deciding his sentence and failed to adequately explain its reasons for imposing the sentence that it did. Because the district court followed the proper procedures when sentencing Tyra, we affirm the district court’s judgment.
Tyra was arrested after selling crack on seven occasions to a police informant. He was initially charged with seven counts of possession with intent to distribute, but under a plea agreement he agreed to plead guilty to one of these counts and stipulate to the facts underlying the others. He also admitted selling 63 grams of crack a month for a period of one year and to dealing drugs for about ten years. At Tyra’s sentencing, which occurred after the Supreme Court’s decision in
United States v. Booker,
Tyra argues that his case should be remanded because it is not clear that the district court concluded that the sentence imposed was “sufficient but not greater than necessary” to meet the goals set forth in 18 U.S.C. § 3553(a). He contends that this court cannot assume that the district court applied the correct standard because it did “virtually no analysis at all” of the sentencing factors in § 3553(a). Tyra is not arguing that his sentence is unreasonable based on a specific § 3553(a) factor. Rather, he contends that the court failed to follow the proper sentencing procedures. This court uses a non-deferential standard of review when determining whether the district court followed proper
post-Booker
sentencing procedures.
United States v. Rodriguez-Alvarez,
We agree with this statement and would like to emphasize here that district courts need not recite any magic words at sentencing to assure us that the correct standard is being used. Instead, after
Booker,
district courts must do the following. They must calculate the proper Guidelines range and consider it even though the Guidelines are no longer mandatory.
United States v. Mykytiuk,
The district court did all of this when sentencing Tyra. Tyra does not dispute that the court accurately calculated and considered the applicable Guidelines range. The court also gave both sides a chance to argue about the application of the sentencing factors in § 3553(a). Finally, Tyra is incorrect when he states that the court offered “virtually no analysis” of the § 3553(a) factors. The court discussed both the seriousness of the offense and Tyra’s history and characteristics — namely his extensive history of drug dealing— when deciding to sentence him to 108 months. The court also explicitly considered Tyra’s argument that his lack of prior convictions justified a lower sentence.
Tyra points to our decision in
United States v. Cunningham,
For the foregoing reasons, we Affirm Tyra’s sentence.
