Free US Court of Appeals for the Sixth Circuit case summaries from Justia.
If you are unable to see this message, click here to view it in a web browser. | | US Court of Appeals for the Sixth Circuit January 28, 2020 |
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Click here to remove Verdict from subsequent Justia newsletter(s). | New on Verdict Legal Analysis and Commentary | The Law Will Not Save Us | JOSEPH MARGULIES | | Cornell law professor Joseph Margulies reminds us that the rule of law exists in the United States primarily to conceal politics; that is, one cannot rely on having “the law” on one’s side if politics are opposed. Margulies illustrates this point by replacing “the lawyers reviewed the law and decided” with “the high priests studied the entrails and decided”—a substitution that ultimately yields the same results. | Read More |
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US Court of Appeals for the Sixth Circuit Opinions | United States v. Richardson | Dockets: 17-2157, 17-2183 Opinion Date: January 27, 2020 Judge: Nalbandian Areas of Law: Civil Rights, Constitutional Law, Criminal Law | Richardson participated in a series of Detroit-area armed robberies in 2010. In 2013, Richardson was convicted of five counts of aiding and abetting Hobbs Act robbery, 18 U.S.C. 1951, five counts of aiding and abetting the use of a firearm during and in relation to a crime of violence under 18 U.S.C. 924(c), and of being a felon in possession of a firearm, section 922(g). The district court sentenced Richardson to 1,494 months in prison. Richardson twice successfully persuaded the Supreme Court to vacate Sixth Circuit judgments affirming his conviction and sentence. The Court remanded for consideration of whether an intervening the Court’s 2015 “Johnson” holding that the Armed Career Criminal Act (ACCA) residual clause was invalid or the First Step Act of 2018 affected his section 924(c) conviction. The Sixth Circuit again affirmed Richardson’s conviction. Johnson had no effect on Richardson’s conviction for aiding and abetting Hobbs Act robbery; that conviction satisfies ACCA’s elements clause, so the residual clause is irrelevant. The court also affirmed his sentence. Richardson cannot benefit from the First Step Act because the district court resentenced him more than one year before the Act became law. | |
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