11th Cir.

United States v. Moore

June 24, 2026 ·2:25-cr-00218-LCB-GMB-1 ·Per Curiam · By James Taylor

The Eleventh Circuit vacated a defendant's sentence because the district court failed to provide a specific justification for an upward variance from the Sentencing Guidelines range. The court held that merely reciting statutory factors without explaining their application to the case facts constitutes reversible procedural error.

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Background

Maggie Moore pleaded guilty to bank larceny after stealing fifty-three thousand dollars from her employer. The Presentence Investigation Report recommended an advisory guideline range of six to twelve months, suggesting home confinement. The district court imposed a twenty-four-month prison sentence, twice the recommended maximum, without providing a detailed explanation.

The court’s reasoning

The court applied the abuse-of-discretion standard for reviewing sentence reasonableness. It found that the district court committed significant procedural error by failing to adequately explain the chosen sentence, particularly the upward variance. The court noted that the district court did not identify facts distinguishing Moore’s case from those covered by the guidelines and ignored the parties’ joint recommendation for home confinement. The court held that reciting Section thirty-five fifty-three factors is insufficient without explaining their application to the specific facts.

What it means going forward

Sentencing courts in the Eleventh Circuit must now provide specific, case-tailored justifications for any sentence outside the Guidelines range, ensuring that the explanation addresses the parties’ arguments and the degree of the variance.