Fourth Circuit - Firearms

United States v. Bolden, 964 F.3d 283 (4th Cir. 2020). The court erred when it applied the four-level enhancement at §2K2.1(b)(6)(B) for possessing a firearm in connection with another felony offense because the court made no findings linking the defendant’s possession of the firearm to his possession of cocaine, nor did the court explain how the weapon had the potential to facilitate the drug offense.

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