United States v. McGuire, No. 15-2071 (7th Cir. 2016)
Annotate this CaseMcGuire pleaded guilty to interfering with commerce by threat or violence. The district court classified McGuire as a career offender under section 4B1.1(a) of the Sentencing Guidelines, which increases the offense level if the defendant has two prior felony convictions for a “crime of violence.” “Crime of violence” is defined in section 4B1.2 and includes “any offense … that … is burglary of a dwelling, arson, or extortion, involves use of explosives, or otherwise involves conduct that presents a serious potential risk of physical injury to another,” (the residual clause). The district judge counted two of McGuire’s prior convictions as crimes of violence. One conviction, for fleeing the police, qualified only under the residual clause. With the career-offender enhancement, McGuire’s Guidelines range increased from 63–78 months to 151–188 months. Citing McGuire’s extensive criminal history, the judge imposed a sentence of 188 months, noting her surprise that the government hadn’t asked for the statutory maximum sentence of 20 years. The Seventh Circuit remanded for resentencing, citing the Supreme Court’s 2015 Johnson holding that the residual clause in the career-offender guideline is unconstitutionally vague.
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