Mark Sandon appeals his 210-month sentence upheld by the district court on a limited Ameline remand. Because the parties are familiar with the history of this case, we will not recount it here.
I
The purpose of an Ameline remand is to ascertain whether treating the Guidelines as mandatory resulted in an “error affecting] substantial rights, by determining whether the sentence would have been materially different under advisory Guidelines.” United States v. Thornton,
In this case, the district judge followed the proper limited Ameline remand procedure. He (1) allowed counsel to submit memoranda so he could consider their views; (2) evaluated the record; (3) determined that the sentence would not have been materially different under an advisory regime; and (4) adequately demonstrated he understood the scope of his discretion in a post -Booker world. The court’s sole responsibility was to consider whether the original sentence would have been materially different, and once Judge Strand decided that issue in the negative, his job was done.
II
“Under the [law of the case] doctrine, a court is generally precluded from reconsidering an issue previously decided by the same court, or a higher court in an identical ease.” Milgard Tempering, Inc. v. Selas Corp. of America,
After the district court completed Sandon’s Ameline remand, the en banc decision in Navarro-Lopez was filed. Navarro-Lopez v. Gonzales,
Navarro-Lopez is intervening controlling authority that precludes a modified categorical analysis when, as here, the statute is missing an element of the generic crime. The Supreme Court has deter
REMANDED.
Notes
This disposition is not appropriate for publication and is not precedent except as provided by 9th Cir. R. 36-3.
