Sufficient evidence to reject entrapment defense, as deft had aired plans to illegally sell firearm before being approached by the CI.
Aggressive pursuit of investigation was not outrageous governmental conduct sufficient to overturn the conviction.
No Due Process violation in gov't destruction of tapes, as deft didn't establish bad faith or exculpatory value.
Non-residential burglaries are valid ACCA predicates.
United States v. Roger Bugh