5th Cir.

United States v. Ayala-Malagon

May 6, 2026 ·25-50636 ·Per Curiam · By James Taylor

The Fifth Circuit affirmed the conviction and supervised release revocation for illegal reentry. The court held that the defendant's constitutional challenge to the statutory sentencing enhancement 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 and the imposition of a new sentence. Regarding the new conviction, Ayala-Malagon argued that the statutory sentencing enhancement in Section thirteen hundred twenty-six subsection B was unconstitutional. He did not raise any issue related to the revocation of supervised release.

The court’s reasoning

The court noted that Ayala-Malagon conceded his only argument was foreclosed by the Supreme Court decision in 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 argument was foreclosed, summary affirmance was appropriate.

What it means going forward

The decision reinforces the binding nature of Almendarez-Torres in the Fifth Circuit regarding sentencing enhancements for illegal reentry, preventing defendants from challenging the constitutionality of such enhancements when they concede the point.

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