The defendant committed the supervised release violation after the term of supervision had lapsed but while he was a fugitive from justice. The Court held that the district court erred in tolling the period of supervised release based on his fugitive status for absconding from supervision. The Court reasoned that the fugitive tolling doctrine, which applies in the context of sentences of imprisonment, did not apply in the context of supervised release. And the Court reasoned that the statutory text contemplated only two circumstances where a term of supervision may be tolled, neither of which related to fugitive status. In so holding, the Court joined the First Circuit and parted ways with three other circuits.