People v. Jones

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Defendant was charged with aggravated robbery, a Class 1 felony (720 ILCS 5/18-5). Before trial, the prosecution and defense agreed that the sentencing range would be 4-30 years. Defendant’s counsel stated that the state had tendered a “certified court docket from the ’04 JD case” indicating that defendant, as a juvenile, had been adjudicated delinquent on multiple counts of residential burglary, which would make defendant eligible for an extended-term sentence. Counsel also indicated that defendant denied having an adjudication for residential burglary. The court admonished defendant that he faced a sentencing range of 4-30 years. At trial, the evidence was limited to the aggravated robbery charge. No evidence regarding defendant’s prior juvenile adjudication was introduced. The jury found defendant guilty. A presentencing investigative report indicated that defendant, as a juvenile, had been adjudicated delinquent in 2005 of multiple offenses, including three counts of residential burglary. The appellate court and Illinois Supreme Court affirmed defendant’s extended-term sentence of 24 years’ imprisonment, rejecting arguments that the sentence violated Supreme Court rulings in Apprendi v. New Jersey (2000) and Shepard v. United States (2005). Defendant’s prior juvenile adjudication is the equivalent of a prior conviction under Apprendi and falls within Apprendi’s prior-conviction exception and an exception in section 111-3(c-5) of the Illinois Criminal Code. The state was not required to allege the fact of his juvenile adjudication in the indictment or prove its existence beyond a reasonable doubt. View "People v. Jones" on Justia Law