5th Cir.

United States v. Ayala-Malagon

May 6, 2026 ·25-50623 ·Per Curiam · By James Taylor

The Fifth Circuit affirmed the conviction and supervised release revocation of a defendant challenging a statutory sentencing enhancement for illegal reentry. The court held that the defendant's constitutional argument was foreclosed by existing Supreme Court precedent.

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Background

Juan Pablo Ayala-Malagon appealed his conviction and sentence under Section eight thousand three hundred twenty-six of Title eight of the United States Code for illegal reentry. He also appealed the revocation of his previously imposed term of supervised release. Regarding the new conviction, Ayala-Malagon argued that the statutory sentencing enhancement in Section eight thousand three hundred twenty-six, subsection b, was unconstitutional. He conceded that this argument was foreclosed by the Supreme Court decision in Almendarez-Torres v. United States and sought only to preserve the issue for possible Supreme Court review.

The court’s reasoning

The court noted that Ayala-Malagon conceded his argument was foreclosed by Almendarez-Torres v. United States. The court cited United States v. Pervis and Erlinger v. United States to explain that Almendarez-Torres persists as a narrow exception permitting judges to find only the fact of a prior conviction. Because the defendant’s argument was foreclosed, summary affirmance was appropriate.

What it means going forward

The decision reinforces the binding nature of Almendarez-Torres regarding sentencing enhancements for illegal reentry and confirms that challenges to such enhancements based on prior convictions are foreclosed in the Fifth Circuit.

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