Not Precedential
Not Precedential
Not Precedential
No. 09-2756
OPINION
Court.1
We review Bolts sentence for reasonableness. United States v. Bungar,
478 F.3d 540, 542 (3d Cir. 2007). A revocation of supervised release is
procedurally reasonable when the record demonstrates that the sentencing court
gave meaningful consideration to the 18 U.S.C. 3553(a) factors referenced in 18
U.S.C. 3583(e). Bungar, 478 F.3d at 543-44. A district court need not discuss a
defendants clearly nonmeritorious arguments, or otherwise discuss and make
findings as to each of the 3553(a) factors if the record makes clear the court took
the factors into account in sentencing. Id. at 543 (internal citations and quotation
marks omitted); see also United States v. Jackson, 467 F.3d 834, 841 (3d Cir.
2006) (noting that the record must show a true, considered exercise of discretion
on the part of a district court, including a recognition of, and response to, the
parties non-frivolous arguments).
Bolt argues that the sentence imposed following the third revocation of
supervised release was procedurally unreasonable because the District Court failed
to meaningfully consider the fact that his original, 84-month sentence of
imprisonment was allegedly 14 months longer than necessary in light of the
Sentencing Commissions 2008 amendment to the Sentencing Guidelines for crack
The District Court had subject matter jurisdiction under 18 U.S.C. 3583(e). This
Court has jurisdiction under 18 U.S.C. 3742(a) and 28 U.S.C. 1291.
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