Krieger v. United States

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In 2005, Jennifer’s mother found her 19-year-old daughter dead. Investigators found a chewed 100-microgram Duragesic fentanyl skin patch. The patch is a powerful opioid, not meant to be ingested. Jennifer did not have a prescription. Her friend, Krieger, had such a prescription for pain from severe spinal problems, and had given Jennifer a patch. Investigators also found a hypodermic needle, a small pipe with burnt residue on it, and two red capsules. Neither the capsules nor the pipe were taken into evidence and tested. The syringe was finally tested three years later. A medical examiner found many drugs in Jennifer's system, but concluded that she died from fentanyl toxicity. Krieger was charged with distribution of fentanyl with death resulting, 21 U.S.C. 841(a)(1); 841(b)(1)(c). After its medical witness fled the country, with legal problems of his own, the government dropped the “death resulting” charge, which it would have had to prove beyond a reasonable doubt. Krieger pleaded guilty to distribution. The prosecution then proposed that “death resulting” be considered as a sentencing factor. The district court found, by a preponderance of the evidence, that death had resulted from the distribution, and that it could only give a 20-year sentence. The Seventh Circuit affirmed. The Supreme Court later issued its decisions in “Alleyne” decision and Burrage v. United States, Krieger filed a petition under 28 U.S.C. 2255. The Seventh Circuit vacated her sentence. The district court can consider Jennifer’s death, using a preponderance of the evidence standard, as recommended under USSG 2D1.1; implementation of the mandatory minimum sentence, however, would require that a jury find, beyond a reasonable doubt, that the patch provided by Krieger was the but-for cause of Curry’s death. The time for such a determination has passed. View "Krieger v. United States" on Justia Law