Gomez v. United States, No. 21-2632 (2d Cir. 2023)
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Petitioner appealed from the denial of his successive Section 2255 motion challenging his conviction and accompanying sentence for using or carrying a firearm in relation to a crime of violence in violation of 18 U.S.C. Section 924(c). In his motion, Petitioner argued that his 924(c) conviction was invalid in light of United States v. Davis, 139 S. Ct. 2319 (2019). The district court denied the motion because it determined that Petitioner’s Section 924(c) conviction rested on the valid predicate crime of murder. The district court further held that its Pinkerton instruction—which permits a jury to convict a defendant of a substantive offense committed by his co-conspirators—did not undermine the validity of the Section 924(c) predicate.
The Second Circuit affirmed, concluding that intentional murder under New York law, even when the conviction is based on a Pinkerton theory of liability, qualifies as a crime of violence within the meaning of Section 924(c). Under a Pinkerton theory, the defendant is convicted of the substantive offense—not of conspiring to commit the offense—so he has committed a crime of violence if the substantive offense is a crime of violence. Because Pinkerton does not transform a substantive offense into a conspiracy offense, it does not implicate Davis.
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