United States v. Fitzpatrick, No. 24-4102 (4th Cir. 2025)
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Conor Fitzpatrick pleaded guilty to conspiracy to traffic in stolen personally identifying information, fraudulent solicitation of personally identifying information, and possession of child pornography. While released on bond awaiting sentencing, Fitzpatrick violated his conditions of release by secretly downloading a virtual private network and accessing the Internet without his probation officer's knowledge. At sentencing, the district court calculated Fitzpatrick’s advisory Guidelines sentencing range to be 188 to 235 months’ imprisonment but sentenced him to a 17-day time-served term of imprisonment, citing his autism spectrum disorder and youth.
The United States District Court for the Eastern District of Virginia initially handled the case. Fitzpatrick was released on bond pending sentencing, subject to several special conditions, which he violated. The district court, considering Fitzpatrick’s autism and youth, imposed a significantly reduced sentence of 17 days, arguing that the Federal Bureau of Prisons would not be able to treat Fitzpatrick’s autism spectrum disorder and that he would be vulnerable in prison.
The United States Court of Appeals for the Fourth Circuit reviewed the case. The court found that the district court abused its discretion by imposing a substantively unreasonable sentence. The Fourth Circuit held that the district court failed to adequately consider the seriousness of Fitzpatrick’s offenses, the need to promote respect for the law, to deter similar wrongdoing, and to protect the public. The court vacated the 17-day sentence and remanded the case for resentencing, emphasizing that a sentence must fulfill the purposes of punishment, deterrence, and incapacitation.
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