United States v. Mink, No. 23-2174 (8th Cir. 2024)
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Chad Eric Mink was convicted on June 24, 2019, of 15 counts related to a harassment campaign against his ex-girlfriend and her partner. He was sentenced to 600 months in prison. Mink appealed, and the Eighth Circuit vacated his conviction on one count and remanded for resentencing on the remaining counts. One week before his resentencing hearing, Mink filed a combined motion for a judgment of acquittal or a new trial, raising new challenges to four counts. He argued that the district court should extend the filing deadlines due to excusable neglect.
The United States District Court for the Southern District of Iowa denied Mink's motion, finding that he had ample opportunity to file within the deadlines and that the issues raised did not involve new law or evidence. Mink appealed, arguing that the district court erred in its excusable-neglect determination. The district court found that Mink's delay was not justified by new legal developments and that he had control over the timing of his filing.
The United States Court of Appeals for the Eighth Circuit reviewed the district court's decision for abuse of discretion. The court applied the excusable-neglect standard, considering factors such as the reason for the delay, the length of the delay, potential prejudice to the opposing party, and whether the movant acted in good faith. The court found that Mink's delay of over three years was excessive and within his control, and that the new legal precedents he cited did not significantly alter the law applicable to his case. The court also noted the potential prejudice to the government if a new trial were granted. Consequently, the Eighth Circuit affirmed the district court's denial of Mink's motion, concluding that the district court did not abuse its discretion.
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