United States v. Vineyard, No. 18-11690 (11th Cir. 2019)
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The Eleventh Circuit affirmed the district court's denial of defendant's motion to dismiss an indictment charging him with failing to register as a sex offender under the Sex Offender Registration and Notification Act (SORNA). The court held that defendant's prior conviction for sexual battery under Tennessee law qualified as a sex offense under SORNA.
The court held that the case law cited by defendant did not support his argument that Tennessee has expanded its definition of sexual contact to include contact with the back or abdomen; the term sexual contact as defined in Tennessee's sexual battery statute categorically matches the plain meaning of sexual contact as used in SORNA; and, although it was clear that the definition of sexual contact used in 18 U.S.C. 2246(3) was inapplicable here, it was equally clear that Tennessee's statutory definition of sexual contact categorically matches section 2246(3) as well.
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