United States v. Brooks, No. 22-2764 (7th Cir. 2024)
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The case involves Thomas Brooks, II, who was charged with and pleaded guilty to possessing a firearm as a convicted felon. The incident occurred when Brooks was leaving an apartment complex and saw police officers waiting outside to arrest him due to several outstanding warrants. Brooks began to run and during the chase, he threw a loaded firearm and an extended magazine into the grass. The police apprehended him and retrieved the discarded items.
Prior to his sentencing, the United States Probation Office prepared a Presentence Investigation Report, which calculated an offense level of 19 and a criminal history category VI, yielding an advisory guidelines range of 63 to 78 months in prison. Brooks argued that the reckless endangerment enhancement should not apply because the government could not demonstrate that his actions created a substantial risk of serious bodily harm. The district court disagreed and applied the two-level reckless endangerment enhancement.
On appeal to the United States Court of Appeals for the Seventh Circuit, Brooks challenged his sentence on three grounds: the application of a two-level enhancement for reckless endangerment while fleeing from police, the district court's failure to address one of his key mitigation arguments, and the district court's decision to sentence him above the Guidelines range. The Court of Appeals affirmed the district court's decision, finding that the district court did not err in its application of the enhancement, adequately addressed Brooks's mitigation arguments, and provided a sufficient explanation for the above-Guidelines sentence.
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