United States v. MolinaUnited States v. Molina
Herbert Alejandro Molina pled guilty to illegally reentering the United States after being deported in violation of
Molina appeals, arguing first that the district court abused its discretion in failing to consider the cost of imprisoning him for 96 months and the fact that he will be deported after serving his sentence. Molina concedes that he did not raise either the cost or the deportation issue at sentencing and that, as a result, our review is for plain error.
See United States v. Saddler,
Molina has not shown that the district court was permitted to consider the cost of imprisoning him, much less that the court was required to do so sua sponte. Although sentencing courts are required to consider the sentencing factors set out in
Molina’s argument that the district court should have considered the fact that he will be deported after serving his sentence is also without merit. Like cost, the likelihood of deportation is not among the sentencing factors set out in
Molina also challenges the substantive reasonableness of the length of his sentence, arguing that the district court gave excessive weight to the need for the sentence imposed to protect the public from further crimes of the defendant and insufficient weight to the other sentencing factors set out in
As we have noted, the district court imposed a sentence at the top of the applicable guideline range. The court explained that in light of Molina’s extensive criminal history, it was “concerned under 3553 with protecting the public from further crimes of the defendant.” The court’s specific reference to one of the sentencing factors set out in
For the foregoing reasons, we affirm Molina’s sentence of 96 months’ imprisonment.
Notes
. The Honorable Lawrence L. Piersol, United States District Judge for the District of South Dakota.
. It should come as no surprise that aliens who violate federal criminal law are subject to criminal punishment rather than immediate deportation. By definition, aliens who violate
. This is not to say that the district court was precluded from considering the effects of Molina's eventual deportation in connection with the statutory sentencing factors, only that the court was not
required,
to do so after Molina failed to raise the issue at sentencing.
Cf. United States v. Morales-Uribe,