United States v. Dailey, No. 23-2355 (8th Cir. 2024)
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Henry Dailey began a ten-year term of supervised release after serving a prison sentence for his involvement in a commercial sex trafficking ring. Four months into his supervised release, his Probation Officer filed a Violation Report alleging numerous violations of his release conditions. Dailey admitted to most of the violations, resulting in an advisory guidelines sentencing range of 6 to 12 months imprisonment. Despite a joint recommendation for 6 months imprisonment followed by ten years of supervised release, the district court sentenced Dailey to 12 months imprisonment followed by 240 months of supervised release.
The United States District Court for the Western District of Missouri initially sentenced Dailey to 84 months imprisonment followed by 120 months of supervised release after he pleaded guilty to one count of Interstate Transportation for Prostitution. Upon completing his prison term, Dailey began his supervised release in November 2022. In March 2023, his Probation Officer reported multiple violations, including failing to register internet-capable devices and involvement in drug sales. At a preliminary revocation hearing, the magistrate judge found probable cause to proceed. Dailey later stipulated to most violations but contested some allegations.
The United States Court of Appeals for the Eighth Circuit reviewed the case. Dailey appealed the new term of supervised release, alleging procedural errors and a substantively unreasonable sentence. The appellate court found no procedural error, noting that the district court did not base its sentence on unproven allegations and allowed Dailey ample opportunity to defend against the contested violations. The court also found the 240-month term of supervised release substantively reasonable, given Dailey's criminal history and repeated violations. The judgment of the district court was affirmed.
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