United States v. Slack
Slack
Court
Ninth Circuit Court of Appeals
Decided
June 9, 2025
Jurisdiction
F
Importance
48%
Practice Areas
Case Summary
NOT FOR PUBLICATION FILED UNITED STATES COURT OF APPEALS JUN 9 2025 MOLLY C. DWYER, CLERK U.S. COURT OF APPEALS FOR THE NINTH CIRCUIT UNITED STATES OF AMERICA, No. 24-2404 D.C. No. Plaintiff - Appellee, 4:22-cr-06003-MKD-1 v. MEMORANDUM* TOMMIE SLACK, Defendant - Appellant. Appeal from the United States District Court for the Eastern District of Washington Mary K. Dimke, District Judge, Presiding Submitted June 5, 2025** Seattle, Washington Before: HAWKINS, GOULD, and BUMATAY, Circuit Judges. Tommie Slack (“Appellant”) appeals his 108-month sentence following his guilty plea to possession with intent to distribute fentanyl under 21 U.S.C. § 841(a)(1) and (b)(1)(B)(vi). Appellant disputes the imposition of a two-level * This disposition is not appropriate for publication and is not precedent except as provided by Ninth Circuit Rule 36-3. ** The panel unanimously concludes this case is suitable for decision without oral argument. See Fed. R. App. P. 34(a)(2). enhancement under U.S.S.G. § 2D1.1(b)(1) for possession of a firearm during commission of the offense. Reviewing the district court’s interpretation of the sentencing guidelines de novo and the application of those guidelines to the facts for abuse of discretion, United States v. Parlor, 2 F.4th 807, 811 (9th Cir. 2021), we have jurisdiction under 28 U.S.C. § 1291. We affirm. There was no error in the application of the firearm enhancement. Under U.S.S.G. § 2D1.1(b)(1), “the government simply bears the burden of proving that the weapon was possessed at the time of the offense.” United States v. Alaniz, 69 F.4th 1124, 1126–27 (9th Cir. 2023). The Government demonstrated constructive possession by bringing forward evidence tying Appellant to the vehicle where the firearm was found, including: a repair receipt for the vehicle in Appellant’s name, Appellant’s reference to the vehicle as “his Benz,” his fiancé taking control of the vehicle after his arrest, Appellant’s phone call with Agent Mitchell to challenge the removal of his personal items from the vehicle, and Appellant’s awareness of the vehicle’s change in performance after his arrest. Nor was there “clear error” in determining the cooperating defendant, who further tied Appellant to the vehicle and the firearm, was credible. See United States v. Baker, 58 F.4th 1109, 1126 (9th Cir. 2023). Together, these facts demonstrate “a sufficient connection between the defendant and the item to support the inference that the defendant exercised dominion and control over the item.” United States v. 2 24-2404 Baldon, 956 F.3d 1115, 1127 (9th Cir. 2020) (internal quotations omitted) (cleaned up). Nothing in the record suggests that there was improper reliance on U.S.S.G. § 1B1.3(a)(1)(b) as an alternative reason for applying the two-level firearm enhancement based on Appellant’s personal possession of the firearm under U.S.S.G. § 2D1.1(b)(1). AFFIRMED. 3 24-2404
Case Details
Case Details
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Status
Decided
Date Decided
June 9, 2025
Jurisdiction
F
Court Type
appellate
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Case Summary
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Case Overview
Case Name: United States v. Slack
Citation: Unknown
Court: Court of Appeals for the Ninth Circuit
Date: June 9, 2025
Jurisdiction: Federal
In the case of United States v. Slack, the Ninth Circuit Court of Appeals addressed the appeal of Tommie Slack, who contested his 108-month sentence for possession with intent to distribute fentanyl under 21 U.S.C. § 841(a)(1) and (b)(1)(B)(vi). The primary issue was the imposition of a two-level enhancement for possession of a firearm during the commission of the offense.
Key Legal Issues
- Possession with Intent to Distribute: Whether the evidence supported the conviction for fentanyl distribution.
- Firearm Enhancement: The legality of the two-level enhancement under U.S.S.G. § 2D1.1(b)(1) for firearm possession during the drug offense.
Court's Decision
The Ninth Circuit affirmed the district court's decision, ruling that there was no error in applying the firearm enhancement. The court found sufficient evidence to establish constructive possession of the firearm by Slack.
Legal Reasoning
The court reviewed the district court's interpretation of the sentencing guidelines de novo and the application of those guidelines for abuse of discretion. The ruling emphasized that the government must prove possession of the firearm at the time of the offense. The evidence presented included:
- A repair receipt for the vehicle in Slack's name.
- Slack's reference to the vehicle as “his Benz.”
- His fiancé taking control of the vehicle after his arrest.
- A phone call from Slack challenging the removal of his personal items from the vehicle.
- Slack's awareness of the vehicle’s performance changes post-arrest.
The court also upheld the credibility of a cooperating defendant who linked Slack to the vehicle and firearm, affirming that the evidence sufficiently demonstrated dominion and control over the firearm.
Key Holdings
- The Ninth Circuit found no error in the district court's application of the firearm enhancement under U.S.S.G. § 2D1.1(b)(1).
- The evidence presented was adequate to establish constructive possession of the firearm.
- The credibility of the cooperating defendant was upheld, supporting the connection between Slack and the firearm.
Precedents and Citations
- United States v. Parlor, 2 F.4th 807 (9th Cir. 2021) - Established the standard for reviewing sentencing guideline applications.
- United States v. Alaniz, 69 F.4th 1124 (9th Cir. 2023) - Clarified the burden of proof for firearm possession.
- United States v. Baker, 58 F.4th 1109 (9th Cir. 2023) - Discussed the credibility of cooperating witnesses.
- United States v. Baldon, 956 F.3d 1115 (9th Cir. 2020) - Addressed the concept of dominion and control in possession cases.
Practical Implications
This ruling reinforces the strict application of sentencing enhancements related to firearms in drug offenses. Legal practitioners should note the importance of establishing a clear connection between defendants and firearms to uphold enhancements. The case also highlights the significance of credibility assessments of cooperating witnesses in drug-related prosecutions.
In summary, the Ninth Circuit's decision in United States v. Slack serves as a critical reference for future cases involving firearm enhancements in drug possession and distribution offenses, emphasizing the need for robust evidence linking defendants to firearms during the commission of crimes.
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Case Details
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Status
Decided
Date Decided
June 9, 2025
Jurisdiction
F
Court Type
appellate
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Additional information
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