Wooden v. United States
Below are plain-language sections to help you understand what the Court decided in Wooden v. United States and why it matters. Quotes are taken from the syllabus (the Court’s short summary at the start of the opinion).
Summary
A short, plain-English overview of Wooden v. United States.
The Supreme Court reviewed whether William Dale Wooden's ten burglary offenses, occurring during a single criminal episode, should be considered as separate occasions under the Armed Career Criminal Act (ACCA) for enhanced sentencing. The Court found that these offenses did not occur on different occasions and thus count as only one prior conviction for ACCA purposes. This decision reversed the Sixth Circuit's affirmation of the enhanced sentence.
Holding
The single most important “bottom line” of what the Court decided in Wooden v. United States.
The Court held that Wooden's ten burglary offenses arising from a single criminal episode did not occur on different 'occasions' and thus count as only one prior conviction for purposes of ACCA.
Constitutional Concepts
These are the Constitution-related themes that appear in Wooden v. United States. Click a concept to see other cases that involve the same idea.
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Why Double Jeopardy is relevant to Wooden v. United States
The case involves interpreting whether multiple convictions from a single criminal episode count as separate offenses for enhanced sentencing under ACCA, which relates to the principle of not being punished multiple times for the same offense.
Syllabus excerpt (verbatim)Wooden's ten burglary offenses arising from a single criminal episode did not occur on different 'occasions' and thus count as only one prior conviction for purposes of ACCA.
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Why Void for Vagueness is relevant to Wooden v. United States
The interpretation of 'occasions' under ACCA involves assessing whether the statutory language is clear enough to provide fair notice and consistent enforcement.
Syllabus excerpt (verbatim)Given what 'occasion' ordinarily means, whether criminal activities occurred on one occasion or different occasions requires a multi-factored inquiry.
Key Quotes
Short excerpts from the syllabus in Wooden v. United States that support the summary and concepts above.
Wooden's ten burglary offenses arising from a single criminal episode did not occur on different 'occasions' and thus count as only one prior conviction for purposes of ACCA.
An ordinary person using language in its normal way would describe Wooden's entries into the storage units as happening on a single occasion.
The Government's approach would largely collapse the two conditions and give ACCA's three-occasions requirement no work to do.



