United States v. Marcus Raqual WilliamsUnited States v. Marcus Raqual Williams
The Government appeals the district court’s sentence of 90 months’ imprisonment imposed on Marcus Raqual Williams. The Government asserts the sentence is unreasonable, and the district court should have sentenced within the United States Sentencing Guidelines range of 188 to 235 months’ imprisonment. We find Williams’ 90-month sentence reasonable, and affirm his sentence.
I. BACKGROUND
Williams met with an undercover agent and two other individuals in December 2003, at which time Williams agreed to sell the agent half of a crack cocaine “cookie” for $350. The cookie was found to weigh five grams. Williams pled guilty to one count of possessing with intent to distribute and distributing five grams or more of a mixture containing crack cocaine, in violation of
Williams met the qualifications for a career offender enhancement under § 4B1.1
Williams objected to the PSI’s application of the § 4B1.1 career offender enhancement on the ground his prior conviction for carrying a concealed weapon was not a crime of violence. Williams maintained his prior offense could not meet the requirements to apply the career offender enhancement under § 4B1.1. At the sentencing hearing, Williams reiterated this argument and asserted
United States v. Gilbert,
The Government asserted the district court should apply the § 4B1.1 enhancement and sentence Williams within the' resulting Guidelines range because Gilbert was still good law in this circuit. The Government further contended the career offender enhancement was appropriate (1) given the numerous offenses Williams had committed previously, and (2) because controlled substance offenses and crimes of violence require more severe sentences.
The district court first noted the PSI incorrectly set the base offense level at 32 when the offense only involved 5 grams of crack cocaine. The court found the correct base offense level was 26. The court applied
Gilbert,
and thus the career offender enhancement. The court found Williams’ Guidelines range for a base offense level of 31 (34 career offender level minus 3 points for acceptance of responsibility) and a mandatory criminal history category of VI was 188 to 235 months’ imprisonment. After calculating the Guidelines range, the court turned to whether the circumstances of the particular case and the factors set forth in
I think, in light of Booker, ... the Court is still required — and I give considerable deference and weight to the [Gjuidelines because a great deal of thought and research and time has gone into developing them, and I think it’s a worthy goal to try to obtain some degree of consistency throughout the country.
On the other hand, there are occasions when the [Gjuidelines simply produce an unjust result; and, in my view ... 188 months in prison for selling $350 worth of cocaine is akin to the life sentence forthe guy that stole a loaf of bread in California. To me, that ... does not promote respect for the law and is way out of proportion to the seriousness of the offense and to [Williams’] prior criminal conduct.
The court also found a criminal history category of V sufficiently accounted for Williams’ previous crimes. The court stated in this instance, “the [Guidelines ... do not produce a just and reasonable result.” It found the difference between sentences within the Guidelines range with the enhancement and without the enhancement was too disparate to ignore. Specifically, a base offense level of 23 (26 minus 3 points for acceptance of responsibility) with a criminal history category of V resulted in a Guidelines range of 84 to 105 months’ imprisonment without the enhancement, while a base offense level of 31 (34 minus 3 points for acceptance of responsibility) with a criminal history category of VI resulted in a Guidelines range of 188 to 235 months’ imprisonment with the enhancement. The court pointed out its own sentencing record post -Booker, noting it rarely ventured to impose a sentence outside the Guidelines, but it could not “in good conscience” sentence Williams to 188 months’ imprisonment because it was unreasonable. The court sentenced Williams to 90 months’ imprisonment and 4 years’ supervised release.
II. STANDARD OF REVIEW
“ ‘The district court’s interpretation of the [Sentencing [Gjuidelines is subject to de novo review on appeal, while its factual findings must be accepted unless clearly erroneous.’ ”
United States v. Jordi,
III. DISCUSSION
Before deciding whether a sentence is reasonable, we first determine whether the district court correctly interpreted and applied the Guidelines to calculate the appropriate advisory Guidelines range.
See United States v. Crawford,
We are required “to determine whether the sentence imposed by the district court was reasonable in the context of the factors outlined in [
A. Application of Guidelines
The Government asserts the district court effectively ignored this Court’s holding in Gilbert by declining to impose a career offender enhancement under U.S.S.G. § 4B1.1. The Government contends the refusal to follow Gilbert exceeded the district court’s discretion.
In
Gilbert,
we held “carrying a concealed weapon in violation of Florida law is a ‘crime of violence’ under U.S.S.G. § 4B 1.2(1),” requiring application of the career offender enhancement.
The court correctly found the resulting Guidelines range for a base offense level of 31 (the 34 career offender level minus 3 points for acceptance of responsibility) and a mandatory criminal history category of VI is 188 to 235 months’ imprisonment. The court specifically acknowledged that under our precedent in
Gilbert,
Williams qualified for the § 4B1.1 career offender enhancement and applied that enhancement. Having correctly calculated the advisory Guidelines range, including the career offender enhancement, the court was then able to sentence Williams outside the applicable range, if the final sentence was reasonable.
See Crawford,
B. Reasonableness
The Government contends Williams’ final sentence of 90 months’ imprisonment is less than half the lowest sentence within the applicable Guidelines range of 188 to 235 months’ imprisonment and is, therefore, unreasonable. The Government further asserts the district court merely “in-canted” the § 3553(a) sentencing factors and chose to ignore them, rather than allow the provisions to limit and inform its discretion. 2
Determining whether a sentence is reasonable is not a new analysis for this Court. We have reviewed sentences for reasonableness in the context of departures from the Guidelines range before
Booker
was decided.
See e.g., United States v. Melvin,
Applying these same principles here, the district court’s statements over the course of the sentencing hearing show it weighed the factors in
This is not a case where the district court imposed a non-Guidelines sentence based solely on its disagreement with the Guidelines. In this case, the district court correctly calculated the Guidelines range and gave specific, valid reasons for sentencing lower than the advisory range. Applying the principles of review in light of the
The district court correctly calculated the advisory Guidelines range, including the enhancement. The district court also considered the factors of
AFFIRMED.
Notes
. This is the incorrect base offense level for five grams of crack cocaine.
See
U.S.S.G.
. The Government also contends Williams' sentence cannot be justified as a downward departure on the ground the career offender enhancement overrepresented Williams’ criminal history because Williams never moved for a downward departure on that basis, and that a departure for overrepresentation of criminal history is limited to one criminal history category. These contentions are without merit. The district court's sentence does not have to be justified as a downward departure. After Booker, the sentencing Guidelines are advisory, and the sentencing court, in its own discretion, can move below the advisory Guidelines range without a motion for downward departure as long as the resulting sentence is reasonable.
. The uncontroverted evidence in the PSI is that Williams was convicted of carrying a concealed firearm when he was found with a handgun "at his feet.”