United States v. Hanna

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Prior to defendant's trial for shipping telecommunications and navigation equipment to Iraq, in violation of an embargo (Executive Order 12722) and the International Emergency Economic Powers Act, the district court denied a motion to suppress; granted a protective order to prevent disclosure of certain confidential documents to the defense; and excluded testimony from a defense witness. Following conviction, the the district court found the sentencing range to be 188-235 months, but only imposed concurrent sentences of 72 months. The Sixth Circuit affirmed. The motion to suppress was properly denied; the affidavit would have provided a sufficient basis to establish probable cause, even if defendant's desired changes had been made. The court properly imposed a sentencing enhancement for an offense involving national security, but improperly applied U.S.S.G 251.1(a)(2); as "invited error," it did not warrant reversal. No Brady violations occurred. Newly-discovered evidence was not exculpatory and did not advance a theory that the government approved and assisted with the shipments.