United States v. Sanchez-Arvizu

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Sanchez-Arvizu pleaded guilty to illegal reentry, 8 U.S.C. 1326(a) and (b)(2). Applying the 2015 Sentencing Guidelines, the probation officer assessed a 16-level enhancement under U.S.S.G. 2L1.2(b)(1)(A)(ii), finding that Sanchez-Arvizu was deported after a conviction for a “crime of violence,” his Texas conviction for indecency with a child by sexual contact, and calculating an advisory Guidelines range of 41-51 months of imprisonment. Under the November 2016 Guidelines, Sanchez-Arvizu’s sentencing range would be 15-21 months. The probation officer arrived at a range of 1-7 months under those Guidelines. The district court stated that “a sentence of 51 months would be entirely appropriate,” but sentenced Sanchez-Arvizu at the low end of the Guidelines range because this was his first conviction for illegal reentry. The court stated that it had considered all of the 18 U.S.C. 3553(a) factors and sentenced Sanchez-Arvizu to 42 months in prison. The Fifth Circuit vacated and remanded because, while this appeal was pending, the Supreme Court held that for "statutory rape offenses focused solely on the age of the participants, the generic federal definition of ‘sexual abuse of a minor’ . . . requires the age of the victim to be less than 16.” The statute under which Sanchez-Arvizu was convicted is categorically broader than the generic federal definition, so the court erred by deeming Sanchez-Arvizu’s conviction a crime of violence under Guidelines section 2L1.2. View "United States v. Sanchez-Arvizu" on Justia Law