4th Cir.

United States v. Jackson

June 5, 2026 ·25-4610 ·Per Curiam · By James Taylor

The Fourth Circuit affirmed the revocation of supervised release but vacated the sentence due to a procedural error. The court remanded the case for resentencing because the district court failed to orally pronounce discretionary conditions of supervised release.

Background

Duane Curtis Jackson appealed his thirteen-month revocation sentence followed by an additional twelve-month term of supervised release. Appellate counsel filed a brief pursuant to Anders v. California, questioning the reasonableness of the revocation sentence but finding no other meritorious grounds for appeal.

The court’s reasoning

The court determined that a Rogers error occurred under United States v. Rogers. Under this precedent, a sentencing court must include any non-mandatory condition of supervised release in its oral pronouncement in open court. The written judgment included four special conditions, but the district court did not impose any of these discretionary conditions at the revocation hearing. Because the defendant did not request a more limited remedy, the court vacated the entire sentence and remanded for full resentencing.

Under Rogers, in order to sentence a defendant to a non-mandatory condition of supervised release, the sentencing court must include that condition in its oral pronouncement of a defendant’s sentence in open court.

United States v. Singletary, 984 F.3d 341, 345 (4th Cir. 2021)

What it means going forward

Defendants in the Fourth Circuit must ensure that all discretionary conditions of supervised release are explicitly stated during the oral pronouncement of the sentence to avoid automatic vacatur and remand.