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`UNITED STATES DISTRICT COURT
`FOR THE DISTRICT OF PUERTO RICO
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`UNITED STATES OF AMERICA
`Plaintiff,
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`v.
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`CRIMINAL NO. 10-435-037 (PG)
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`CARLOS E. RODRIGUEZ-MILIAN
`Defendant.
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`STIPULATION REGARDING MODIFICATION OF SENTENCE
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`TO THE HONORABLE COURT:
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`IT IS HEREBY STIPULATED AND AGREED, by and between the parties acting through
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`their undersigned counsel that:
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`1. Defendant has submitted a request for modification of his sentence pursuant to Title 18,
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`United States Code, Section 3582(c)(2).
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`2. Defendant’s original guideline calculation was as follows:
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`Total Offense Level: 38
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`Criminal History Category: I
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` 235 to 293 months for Criminal History Category of I
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`At least five (5) years of supervised release
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`3. Defendant was sentenced on August 22, 2014 to 235 months of imprisonment to be
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`followed by a supervised release term of 5 years.
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`4. Defendant is eligible for a modification of his sentence pursuant to 18, United States
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`Code, Section 3582(c) and U.S.S.G. §1B1.10(c), Amendment 782 to the United States Sentencing
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`Guidelines.
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`Case 3:10-cr-00435-PG Document 2551 Filed 04/05/17 Page 2 of 2
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`5. Defendant’s revised guideline calculations are as follows:
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`Total Offense Level: 36
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`Criminal History Category: I
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`188 to 235 months of imprisonment for Criminal History Category I
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`At least 5 years of supervised release
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`6. Based on the foregoing, the parties hereby stipulate a sentence of 188 months of
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`incarceration is appropriate in this matter.
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`7. Defendant stipulates that he waives and does not request a hearing in this matter pursuant
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`to Fed. R. Crim. P. 43; 18 United States Code, Section 3582(c)(2); United States v. Booker, 543 U.S.
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`220 (2005) and Kimbrough v. United States, 2007WL 4292040 (U.S. 2007).
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`8. The parties further stipulate that the remainder of defendant’s judgment shall remain
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`unchanged.
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`9. Accordingly, the parties agree and stipulate that an amended judgment may be entered by
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`the Court in accordance with this stipulation pursuant to Title 18, United States Code, Section
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`3582(c) and U.S.S.G. §1B1.10(c), Amendment 782 of the United States Sentencing Guidelines.
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`Respectfully submitted in San Juan, Puerto Rico, on the 5th day of April, 2017.
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`ERIC ALEXANDER VOS
`Federal Public Defender
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`ROSA EMILIA RODRIGUEZ VELEZ
`United States Attorney
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`s/ Myriam Y. Fernandez
`Assistant United States Attorney
`Chief, Narcotics Unit
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`s/Hector L. Ramos-Vega
`First Assistant Federal Public Defender
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`s/Laura I. Soto-Santiago
`Laura I. Soto-Santiago
`Research and Writing Specialist
`USDC-PR 302905
`241 FD Roosevelt Ave.
`Hato Rey, P.R. 00918-2441
`(787) 281-4922/ Fax (787) 281-4899
`E-mail: Laura_Soto@fd.org
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`