

[17-765] United States v. Stitt
United States v. Stitt
Justia (with opinion) · Docket · oyez.org
Argued on Oct 9, 2018.
Decided on Dec 10, 2018.
Petitioner: United States of America.
Respondent: Victor J. Stitt, II.
Advocates:
- Erica L. Ross (Assistant to the Solicitor General, US Department of Justice, for petitioner)
- Jeffrey L. Fisher (for respondents)
Facts of the case (from oyez.org)
In 2011, Victor Stitt tried to shove a loaded handgun into his girlfriend’s mouth and threatened to kill her. A neighbor called the police, and Stitt fled but later surrendered to police. A jury found Stitt guilty of possession of a firearm as a convicted felon. In light of Stitt’s nine prior “violent felony” convictions, the court designated Stitt as an armed career criminal under the Armed Career Criminal Act (ACCA) and sentenced him accordingly. The ACCA applies to those felons guilty of possessing a firearm who also have at least three prior convictions for a violent felony or serious drug offense. Stitt appealed the conviction, arguing that none of his nine prior convictions constituted “violent felonies.” The US Supreme Court’s 2015 decision in Johnson v. United States invalidated the violent-felony status of three of his prior convictions, leaving only six aggravated-burglary convictions. The Sixth Circuit has held that Tennessee aggravated burglary is a violent felony under the ACCA, so a panel of that court affirmed the sentence. Sitting en banc, the Sixth Circuit overturned its precedent and held that a conviction for Tennessee aggravated burglary does not qualify as an ACCA violent felony.
In a separate case, Jason Sims pleaded guilty to being a felon in possession of a firearm and received an enhanced sentence under the ACCA, based in part on two prior Arkansas residential burglary convictions. Sims appealed his conviction and the Eighth Circuit vacated his sentence and remanded his case for rehearing.
The US Supreme Court granted certiorari in both cases and consolidated them for the purpose of oral argument. At issue in both cases is whether the elements of the state crimes of which the defendants were convicted are “the same as, or narrower than, those of the general offense.” If they are broader than those of the general offense, then they cannot serve as ACCA predicate offenses.
Question
Is the crime of residential burglary under Arkansas law, or aggravated burglary under Tennessee law, the same as or narrower than “general burglary” such that convictions for those crimes serve as predicate crimes for the purpose of the enhanced sentencing provision of the Armed Career Criminal Act of 1984?
Conclusion
In a unanimous opinion authored by Justice Stephen Breyer, the Court held that “burglary” under the Armed Career Criminal Act of 1984 (ACCA) encompasses not just “dwellings” but also any “vehicle that has been adapted or is customarily used for overnight accommodation.” The general definition of burglary is “an unlawful or unprivileged entry into, or remaining in, a building or other structure, with intent to commit a crime.” The Court previously recognized that when the ACCA was adopted in 1986, it was intended to reflect the definition of burglary used by most states. Because the statutory word “structure” is broad enough to encompass vehicles, and a majority of states in 1986 included in the definition of burglary vehicles adapted for or customarily used for lodging, the defendants’ state court convictions were for violent crimes within the meaning of the ACCA. The Court reversed the Sixth Circuit in United States v. Stitt, No. 17-765, and vacated the Eighth Circuit’s decision in United States v. Sims, No. 17-766, remanding the case for the lower court to resolve novel state law arguments.