United States v. Thomas Edward WestbrookUnited States v. Thomas Edward Westbrook
Thоmas Westbrook was indicted on charges relating to counterfeiting and firearms possession. After a hearing, the district court ordered Westbrook to be detained pending trial. This Court affirms the decision of the district court but remands for the limited purpose of directing the district court to issue a detention order that complies with
I. BACKGROUND
On October 23, 1985, Thomas Westbrook was arrested on charges of possessing counterfeit money in violation of
Unable to meet the secured bond requirement, Westbrook again requested the magistrate to reduce the bond to unsecured status. On November 20, 1985, the magistrate denied Westbrook’s request finding that “releasing the defendant on personal recognizance or unsecured bond will not reasonably assure the appearance of the defendant as required and will endanger the safety of the community____”
Westbrook then filed a motion in the district court requesting a hearing de novo before the district judge to reconsider the mаgistrate’s order. The district court granted this motion and held the requested hearing. After the hearing, the district court issued an order concluding that under the Bail Reform Act of 1984,
II. DISCUSSION
The Bail Reform Act of 1984 (BRA) provides judicial officers with four options in determining whether to release or detain an accused pending trial. Under
(1) released on his personal recognizance or upon execution of an unsecured appearance bond, pursuant to the provisions of subsection (b);
(2) released on a condition or combination of conditions pursuant to the provisions of subsection (c);
(3) temporarily detained to permit revocation of conditional release, deportation, or exclusion pursuant to the provisions of subsection (d); or
(4) detained pursuant to the provisions of subsection (e).
The BRA requires that an accused be released on personal recognizance or unsecured bond unless “such release will not reasonably assure the appearance of the person as required or will endanger the safety of any other person or the community.”
Westbrook correctly asserts that under
However, Westbrook was not detained based solely on his inability to post a secured bond. Rather, Westbrook wаs detained only after the district court determined that no
available
condition for pretrial release would reasonably assure West-brook’s appearance at trial. Following a detention hearing conducted pursuant to
This cause came before the court on the motion of the defendant for reduction of bond, which bond amount is alleged to be excessive. After due consideration of the factors listed in18 U.S.C. § 3142(g) , and the court finding that the defendant is unable to make a secured bond and that release on personal recognizance or unsecured appearance bond is not appropriate,18 U.S.C. § 3142(b) , and the court further finding that there are no conditions or combination of conditions enumerated in18 U.S.C. § 3142(c) , which will reasonably assure the appearance of the defendant, the court determines that pre-trial detention of the defendant is appropriate.
The order indicates that Westbrook was detained only after a detention determination by the district court pursuant to
Westbroоk raises several challenges to the district court’s detention order. First, Westbrook contends that given the magistrate’s original determination that a secured bond was an adequate condition for release, the district court could not properly find that
no
condition or set of conditions under
In the alternative, Westbrook аsserts that the evidence produced in hearings conducted before the magistrate and the district court was insufficient to sustain a detention order. To order detention based on the lack of a condition adequate to assure an accused’s appearanсe for tri
In making a pretrial detentiоn determination, a judicial officer must bear in mind that “passage of the pretrial detention provision of the 1984 Act did not ... signal a congressional intent to incarcerate wholesale the category of accused persons awaiting trial.”
United States v. Orta,
Once the district court has determined that pretrial detention is necessary, this Court’s review is limited. The order of the district court is to be sustained “if it is supported by the proceedings below.”
7
United States v. Fortna,
Given our limited review, this Court concludes that in the instant case the district court’s detention order is adequately supported by the evidence. Westbrook has three prior felony convictions, including two for burglary and one for theft of property. At the time of his arrest on October 23, Westbrook was on supervised probation from Edinburg, Texas. Courtesy probation supervision was being locally provided by the Department of Corrections in Clarks-dale, Mississippi.
Although Westbrook has never jumped bond or failed to appear in any of his previous criminal cases, he had recently failed to report to his probation officer in Mississippi. At the time of Westbrook’s arrest his whereabouts were unknown to his probation officer. Moreover, West-brook had recently left Mississippi and traveled to Indianа without the necessary knowledge and consent of the probation officer in Mississippi.
The charges pending against Westbrook in the instant case are serious indeed. Westbrook has been indicted on nine counts of conspiracy to possess and pass counterfeit Unitеd States currency, possession and passing of counterfeit United States currency on several occasions, and firearms violations. The total potential fines and incarceration as a result of the indictment exposes Westbrook to a total of seventy-eight years imprisonment and $50,000 in fines.
Westbrook has limited local connections in Mississippi. Westbrook was unemployed at the time of his arrest and had no fixed place of residence, having recently moved from Texas to Indiana and finally to Mississippi. Under these circumstances, the district court could have determined that no condition or set of conditions permissibly imposed under
(1) include written findings of fact and a written statement of the reasons for the detention;
(2) direct that the person be committed tо the custody of the Attorney General for confinement in a corrections facility separate, to the extent practicable, from persons awaiting or serving sentences or being held in custody pending appeal;
(3) direct that the person be afforded reasonable opportunity for private consultation with his counsel; and
(4) direct that, on order of a court of the United States or on request of an attorney for the Government, the person in charge of the corrections facility in which the person is confined deliver the person to a United States marshal for the purpose of an appearance in connection with a court proceeding.
This provision of the BRA is unambiguous in its terms and the procedural safeguards incorporated into the BRA must be strictly applied. The detention order issuеd by the district court in the instant case fails to satisfy the strict procedural requirements contained in
REMANDED.
Notes
. Ob November 14, 1985, a federal grand jury issued a nine-count indictment сharging West-brook with: (1) conspiring to possess and use counterfeit money; (2) several counts of actually possessing and using counterfeit money; (3) illegally purchasing a rifle with counterfeit money; and (4) unlawfully possessing a handgun while a convicted felon.
. Westbrook's trial is scheduled for January 21, 1986.
. By prohibiting a judicial officer from imposing a financial condition that results in pretrial detention, the BRA eliminates the practice of de facto preventative detention. Prior to adoption of the 1984 BRA, judicial officers could prevent the pretrial release of individuals by imposing exorbitant financial сonditions for release. New procedural safeguards regulated this practice. The 1984 BRA eliminates de facto preventative detention while at the same time establishing
de jure
preventative detention regulated by both procedural and substantive safeguards.
See
. When the district court, pursuant to
. Such a finding, if adequately supported, suffices to warrant pretrial detention without bond, without regard to whether the accused poses a safety threat to any other person or the community.
See United States v. Fortna,
. In contrast, a detention order based on a finding that no releаse condition or set of conditions will reasonably assure the safety of the community must be supported by clear and convincing evidence.
. Courts in other circuits have not agreed on the appropriate standard of review. For example, the Third and Sixth Circuits have cоnducted de novo review of district courts' ultimate findings regarding conditions necessary to assure an accused’s appearance.
See United States v. Hazime,
. Westbrook’s other contentions raisе no substantial argument.
. The district court’s detention order specifies that release on unsecured bond is not appropriate and that no condition or combination of conditions will reasonably assure Westbrook's appearance. However, the order does not specify, as required by