People of Michigan v. Alexander Jeremy Steanhouse
People of Michigan v. Alexander Jeremy Steanhouse
Opinion
This case returns to this Court after remand by the Michigan Supreme Court, which ordered this Court to review Alexander Steanhouse's sentence in accordance with its decision in
People v. Steanhouse
,
I. BASIC FACTS
A jury convicted Steanhouse of assault with intent to commit murder, MCL 750.83, and receiving or concealing stolen property, MCL 750.535(3)(a). Although Steanhouse's minimum sentencing guidelines range was 171 to 285 months, the trial court departed upward and sentenced him to 30 to 60 years' imprisonment for the assault conviction and to one to five years' imprisonment for the receiving or concealing stolen property conviction.
At the time Steanhouse was sentenced, a trial court could depart upward from the minimum guidelines range only for substantial and compelling reasons. See MCL 769.34(3). However, in
People v. Lockridge
,
Steanhouse and the prosecutor moved for leave to appeal in our Supreme Court. The Court granted the prosecutor's application,
2
and it affirmed "that the proper inquiry when reviewing a sentence for reasonableness is whether the trial court abused its discretion by violating [
Milbourn's
] 'principle of proportionality' ...."
Steanhouse II
,
II. PRINCIPLE OF PROPORTIONALITY
A. STANDARD OF REVIEW
Steanhouse argues that the trial court's sentence was unreasonable because it was not proportional under the
Milbourn
standard. We review for reasonableness a trial court's decision to depart from the applicable sentencing guidelines range.
Lockridge
,
B. ANALYSIS
Under the principle of proportionality standard, a sentence must be "proportionate to the seriousness of the circumstances surrounding the offense and the offender."
Milbourn
,
Id
. at 651,
(1) the seriousness of the offense; (2) factors that were inadequately considered by the guidelines; and (3) factors not considered by the guidelines, such as the relationship between the victim and the aggressor, the defendant's misconduct while in custody, the defendant's expressions of remorse, and the defendant's potential for rehabilitation. [ People v. Lawhorn ,320 Mich.App. 194 , 207,907 N.W.2d 832 (2017) (citation and quotation marks omitted).]
An appellate court must evaluate whether reasons exist to depart from the sentencing guidelines and whether the
extent
of the departure can satisfy the principle of proportionality. See
Milbourn
,
The first inquiry in our reasonableness review is whether there were "circumstances that are not adequately embodied within the variables used to score the guidelines."
Milbourn
,
The trial court in this case articulated a few reasons in support of its decision to impose a departure sentence. First, it articulated that an upward departure was appropriate based on the "horrendous, brutal assault" on a young man who appeared to have been "rendered weak or
incapacitated by his drug use at that time." However, we conclude that both the brutality of the assault and the fact that the victim was weak or incapacitated by drug use were not proper considerations because they were accounted for in the sentencing guidelines and the trial court offered no explanation for why they were given inadequate weight by the guidelines. See
Milbourn
,
A trial court must score OV 7 at 50 points if the offender treated the victim with "excessive brutality." MCL 777.37(1)(a). For the purpose of OV 7, excessive brutality requires savagery or cruelty beyond the usual brutality of the crime.
People v. Glenn
,
Here, the trial court expressly stated that scoring OV 7 was not appropriate because although the facts were "horrendous," they were not "indicative of something that would be beyond the convicted offense, beyond what's necessary for assault with intent to murder." We conclude that, having determined that the facts of this case only encompassed the usual brutality of an assault with intent to murder, the trial court's later decision to use the brutality of the crime to support an upward departure was not a valid consideration.
Similarly, the trial court's decision to depart upward on the basis that Steanhouse took advantage of a victim who was incapacitated or rendered weak by drug use also could have been addressed by the sentencing guidelines. OV 10 addresses the "exploitation of a vulnerable victim." MCL 777.40(1). Five points must be scored if "[t]he offender exploited a victim by his or her difference in size or strength, or both, or exploited a victim who was intoxicated, under the influence of drugs, asleep, or unconscious." MCL 777.40(1)(c). 4 The guidelines indicate that "[t]he mere existence of 1 or more factors described in [ MCL 777.40(1) ] does not automatically equate with victim vulnerability." MCL 777.40(2). No points were assessed or scored for OV 10. Given that the trial court determined that the incapacitation was not significant enough to warrant a score under OV 10-which is the OV that expressly addresses exploitation of a victim incapacitated by drugs-we conclude that this was not a valid reason for departing upward.
The trial court's third reason for imposing an upward departure was not accounted for in the sentencing guidelines. The court reasoned:
[T]he action taken by you towards a person who considers you a friend does substantiate the thought that you are a person without a conscience, a person who's violent and depraved and that this is an assault that is quite shocking even to people who have been in the courts for 20 and more years.
In evaluating whether the departure sentence imposed for defendant is proportional in accordance with
Milbourn
, a factor to be considered, which is not adequately reflected in the guidelines, involves the "prior relationship" between defendant and
the victim.
Milbourn
,
In sum, two of the stated reasons for imposing a departure sentence were improper. The trial court only articulated a single valid reason for departing from the sentencing guidelines, and on this record it is unclear whether the court would have departed solely on the basis of the prior relationship between Steanhouse and
his victim. Similarly, it is difficult to ascertain the trial court's reasoning or rationale for the extent of the departure imposed and to ascertain where on the "continuum from the least to the most serious situations" this case falls.
Milbourn
,
Reversed and remanded for resentencing. We do not retain jurisdiction.
Servitto and Stephens, JJ., concurred with M. J. Kelly, P.J.
United States v. Crosby
,
The Supreme Court also granted leave to appeal in
People v. Masroor
,
We note, however, that under "unusual circumstances," a sentence within the guidelines range may "be disproportionately severe or lenient," which would result in a sentence that violates the principle of proportionality even though it is within the guidelines range.
Milbourn
,
The term "exploit" is defined to mean "to manipulate a victim for selfish or unethical purposes," MCL 777.40(3)(b), while "vulnerability" refers to "the readily apparent susceptibility of a victim to injury, physical restraint, persuasion, or temptation," MCL 777.40(3)(c).
Case-law data current through December 31, 2025. Source: CourtListener bulk data.