In People v. Alfaro, No. 150437-8, the Michigan Supreme Court vacated the defendant’s sentence because the presentence report did not include the sentencing guidelines calculation for one of the defendant’s offenses of conviction as required by MCL 771.14(2)(e). The defendant was convicted of both first-degree criminal sexual conduct and second-degree criminal sexual conduct, and the presentence report included only a guidelines calculation for the first-degree conviction.