United States v. Perez-Delgado, No. 22-1231 (1st Cir. 2024)
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The case involves Ricardo Perez-Delgado, who was sentenced to forty years in prison for his role in a violent robbery that resulted in the death of a businessman. The sentence was significantly higher than the guideline sentencing range (GSR), which had a maximum of thirty years and five months. Perez-Delgado appealed, arguing that the district court did not adequately explain its rationale for imposing a sentence nearly a decade over the top of the GSR.
The district court had adopted the probation office's GSR calculation and considered the relevant statutory factors, Perez-Delgado's background, the nature and circumstances of the offense, and the arguments of both parties. However, the court's explanation for the upward variance was limited to a single sentence stating that the recommended sentence did not reflect the seriousness of the offense, promote respect for the law, protect the public from further crimes by Perez-Delgado, or address issues of deterrence and punishment.
The United States Court of Appeals for the First Circuit agreed with Perez-Delgado's argument. The court found that the district court's explanation was insufficient to justify the significant upward variance from the GSR. The court noted that the greater the variance, the greater the explanation must be. The court vacated Perez-Delgado's sentence and remanded the case for resentencing, instructing the district court to provide an individualized explanation proportional to the length of the variance if it decided to upwardly vary again.
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