United States v. Jeremy Wright ( 2017 )


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  •                                     UNPUBLISHED
    UNITED STATES COURT OF APPEALS
    FOR THE FOURTH CIRCUIT
    No. 17-4281
    UNITED STATES OF AMERICA,
    Plaintiff - Appellee,
    v.
    JEREMY SANQUAN WRIGHT,
    Defendant - Appellant.
    Appeal from the United States District Court for the District of South Carolina, at
    Florence. Terry L. Wooten, Chief District Judge. (4:07-cr-00897-TLW-1)
    Submitted: November 30, 2017                                Decided: December 20, 2017
    Before GREGORY, Chief Judge, and WILKINSON and DUNCAN, Circuit Judges.
    Affirmed by unpublished per curiam opinion.
    Emily Deck Harrill, Assistant Federal Public Defender, FEDERAL PUBLIC
    DEFENDER’S OFFICE, Columbia, South Carolina, for Appellant. Beth Drake, United
    States Attorney, Jimmie Ewing, Robert F. Daley, Jr., Assistant United States Attorneys,
    OFFICE OF THE UNITED STATES ATTORNEY, Columbia, South Carolina, for
    Appellee.
    Unpublished opinions are not binding precedent in this circuit.
    PER CURIAM:
    Jeremy Sanquan Wright was convicted of being a felon in possession of a firearm
    under 18 U.S.C. § 922(g) (2012). In light of his prior convictions, the district court
    sentenced Wright to life imprisonment under the Armed Career Criminal Act, 18 U.S.C.
    § 924(e)(1) (2012). We affirmed. United States v. Wright, 
    594 F.3d 259
    (4th Cir. 2010).
    In 2016, Wright filed a 28 U.S.C. § 2255 (2012) motion challenging his
    designation as an armed career criminal in light of Johnson v. United States, 
    135 S. Ct. 2551
    (2015) and Mathis v. United States, 
    136 S. Ct. 2243
    (20162). The Government
    conceded that Wright no longer qualified for the enhanced sentence, and the district court
    resentenced Wright to 120 months’ imprisonment, the statutory maximum, to run
    consecutively to Wright’s state sentence of life without parole. Wright appeals, arguing
    that his sentence is procedurally and substantively unreasonable.
    This court reviews a sentence, “whether inside, just outside, or significantly
    outside the Guidelines range[,] under a deferential abuse-of-discretion standard.” Gall v.
    United States, 
    552 U.S. 38
    , 41 (2007). This review requires consideration of both the
    procedural and substantive reasonableness of the sentence. 
    Id. at 51.
    In determining
    procedural reasonableness, this court considers whether the district court properly
    calculated the defendant’s advisory Guidelines range, gave the parties an opportunity to
    argue for an appropriate sentence, considered the 18 U.S.C. § 3553(a) (2012) sentencing
    factors, selected a sentence based on clearly erroneous facts, or failed to explain
    sufficiently the selected sentence. 
    Id. at 49-51.
    Only after determining that the sentence
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    is procedurally reasonable does this court consider its substantive reasonableness,
    “tak[ing] into account the totality of the circumstances.” 
    Id. at 51.
    Wright concedes that the district court properly calculated his advisory Guidelines
    range and gave him an opportunity to argue for an appropriate sentence. However,
    Wright argues, first, that his sentence is procedurally unreasonable because the district
    court included in its written statement of reasons those that he did not mention at the
    sentencing hearing.       Second, Wright asserts that his sentence is procedurally
    unreasonable because the district court failed to articulate a valid reason for imposing a
    consecutive, rather than concurrent, sentence to his state term of imprisonment. Wright
    also claims that his sentence exceeds the statutory maximum by running consecutively to
    his state sentence.
    Although Wright’s advisory Guidelines range would have been life imprisonment,
    the statutory maximum for his offense is 120 months. Before pronouncing Wright’s
    sentence, the district court reviewed Wright’s extensive criminal history as well as the
    relevant § 3553(a) factors; namely, the court addressed the seriousness of Wright’s
    offense, his lack of respect for the law, and the need for deterrence and protection of the
    public. The court also addressed at some length its decision to impose Wright’s sentence
    as consecutive, rather than concurrent, to his state life sentence.
    Wright claims that the district court committed procedural error in providing
    “additional” reasons in the written statement of reasons to those articulated in open court.
    However, we find that these were not additional factors relied upon by the district court,
    3
    but rather were part of the nature and circumstances of the offense within the meaning of
    18 U.S.C. § 3553(a)(1) that the district court discussed at sentencing.
    Wright’s claim that the district court failed to adequately explain its reason for
    imposition of a consecutive sentence is belied by the transcript of the sentencing hearing.
    Finally, Wright offers no support for his contention that a 120-month sentence imposed to
    run consecutively to his state sentence exceeds the 120-month statutory maximum. See,
    e.g. 18 U.S.C. § 3584(a) (2012) (“[I]f a term of imprisonment is imposed on a defendant
    who is subject to an undischarged term of imprisonment, the terms may run concurrently
    or consecutively.”     Accordingly, we find that Wright’s sentence is procedurally
    reasonable.
    If this court concludes that a sentence is free of significant procedural error, this
    court then considers the substantive reasonableness of the sentence. United States v.
    Lynn, 
    592 F.3d 572
    , 575 (4th Cir. 2010). Any sentence within or below a properly
    calculated Guidelines range is presumptively substantively reasonable. United States v.
    Louthian, 
    756 F.3d 295
    , 306 (4th Cir. 2014). Such a presumption can only be rebutted by
    a showing that the sentence is unreasonable when measured against the § 3553(a) factors.
    
    Id. Wright argues
    that the district court committed substantive error in failing to
    explain its rejection of a concurrent sentence, U.S. Sentencing Guidelines Manual
    (USSG) § 5G1.3(b) (2016), and for placing too much emphasis on Wright’s juvenile
    record. However, as noted above, the district court went to great lengths to explain its
    reasoning for imposing a consecutive sentence and Wright’s juvenile criminal history
    4
    was only part of his extensive criminal record mentioned by the district court. Therefore,
    we find that Wright cannot overcome the presumption of reasonableness accorded his
    within-Guidelines sentence.
    Accordingly, we affirm Wright’s sentence.        We dispense with oral argument
    because the facts and legal contentions are adequately presented in the materials before
    this court and argument would not aid the decisional process.
    AFFIRMED
    5
    

Document Info

Docket Number: 17-4281

Filed Date: 12/20/2017

Precedential Status: Non-Precedential

Modified Date: 12/20/2017