Herman Avery Gundy was on
supervised release for a prior federal offense he had committed when he was convicted of sexual assault in
Maryland (a state offense), on October 3, 2005. He was sentenced to 20 years imprisonment and 5 years probation, with 10 of the 20-year sentence suspended. Consequently, on March 23, 2006 he was convicted in federal court of violating his supervised release and sentenced to 2 years imprisonment (to be served consecutively to his sexual assault sentence). After he had served his prison sentence for the sexual assault in state custody, on June 15, 2011, he was transferred to federal custody in
Pennsylvania to serve his sentence for violating his supervised release. On July 17, 2012, Gundy received permission to travel unsupervised to a
residential reentry center in
New York. On August 27, 2012, he was released from federal custody. Gundy did not register as a sex offender in either Maryland (where he committed his crime) or New York (his state of residence), and was thus arrested for violating SORNA (). In January 2013, he was
indicted for that offense.
Lower court proceedings Gundy filed a
motion to dismiss the single charge against him. On May 22, 2013,
District Judge J. Paul Oetken of the
United States District Court for the Southern District of New York granted the motion. Oetken found that Gundy was not required to comply with SORNA's registration requirements until after he served his full sentence (at which point he was in federal custody in New York), as his conviction for violation of his supervised release was, according to Oetken, "a sentence of imprisonment with respect to the offense giving rise to the registration requirement". The prosecution appealed the dismissal to the
United States Court of Appeals for the Second Circuit. Circuit Judge
Susan L. Carney disagreed with the District Court's reading. She held that 42 U.S.C. § 16913(b), which states that offenders are only required to register after completing "a sentence of imprisonment with respect to the offense giving rise to the registration requirement", did not mean that the general requirement to register only applied after having completed the sentence. The Court found that Gundy was subject to SORNA as soon as it became retroactive. The District Court's judgement was thus reversed and remanded. The Court of Appeals ruled that Gundy participated in voluntary interstate travel and was therefore required to register his travel to New York under SORNA. As he failed to do so, he was subject to sentencing as done by the District Court. It rejected Gundy's argument that the delegation of authority to the Attorney General within SORNA violated the nondelegation clause, based on circuit precedent in the case
United States v. Guzman. ==Supreme Court==