United States v. Castaneda, No. 21-3010 (7th Cir. 2023)
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In 1997, Castaneda was arrested for his role in a large-scale heroin conspiracy. Once released on bond, Castaneda fled and lived as a fugitive in Mexico for more than 20 years. He returned to the United States in 2019 and was rearrested for his 1997 offense. Castaneda entered guilty pleas to attempt to possess with the intent to distribute more than a kilogram of heroin, and conspiracy to possess with the intent to distribute more than a kilogram of heroin. Penalties for both charges included a statutory mandatory minimum of 10 years’ imprisonment. Castaneda qualified for the “safety valve”—under which a court is obligated to impose a sentence pursuant to the sentencing guidelines without regard to any statutory minimums, 18 U.S.C. 3553(f). Safety valve relief is available if five requirements are met.
The court sentenced Castaneda to 12 years in prison. The Seventh Circuit vacated. The district court applied an incorrect guideline range and failed to provide any explanation for its rejection of Castaneda’s principal mitigation argument. The court appears not to have understood that if the safety valve applied, it was required to sentence Castaneda without regard to the mandatory minimum.
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