5th Cir.

United States v. Suzuki

May 6, 2026 ·25-60637 ·Per Curiam · By James Taylor

The Fifth Circuit affirmed a twenty-four-month above-guidelines sentence imposed on Aubrey Suzuki following a second revocation of supervised release. The court held that the district court did not abuse its discretion in balancing the sentencing factors under Section thirty-five fifty-three of Title eighteen of the United States Code.

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Background

Aubrey Suzuki appealed his twenty-four-month above-guidelines sentence imposed after a second revocation of supervised release. The sentence followed a conviction for transmitting threatening communications in interstate commerce. Suzuki challenged the substantive reasonableness of the sentence, arguing it was greater than necessary to satisfy the goals of Section thirty-five fifty-three of Title eighteen of the United States Code.

The court’s reasoning

The court applied the abuse of discretion standard established in Gall versus United States and United States versus Nguyen. It found nothing in the record indicating the district court failed to account for a factor that should have received significant weight or gave significant weight to an irrelevant factor. The sentence did not represent a clear error of judgment in balancing the sentencing factors.

What it means going forward

This decision reinforces the deference appellate courts give to district courts when imposing sentences for supervised release revocations, provided the court properly considers the statutory factors.

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