State v. Hand

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Hand entered no-contest pleas in Montgomery County to first-degree felonies (aggravated burglary, aggravated robbery, and kidnapping) and two second-degree counts of felonious assault. Each count had a three-year firearm specification attached, to which Hand also entered no-contest pleas. During the plea hearing, the parties agreed to a total six-year prison term with three of the years being mandatory because they are related to the merged firearm specifications, R.C. 2929.14 and 2941.145. The parties disputed whether the three years for the other offenses was also a mandatory term, based on whether Hand’s prior juvenile adjudication for aggravated robbery under R.C. 2911.01(A)(3) should operate as a first-degree felony conviction to enhance his sentence. The court ruled that Hand’s prior juvenile adjudication required imposition of mandatory prison terms under R.C. 2929.13(F). The appeals court affirmed. The Supreme Court of Ohio reversed. Treating a juvenile adjudication as an adult conviction to enhance a sentence for a later crime is inconsistent with Ohio’s system for juveniles, which is predicated on the fact that children are not as culpable for their acts as adults and should be rehabilitated rather than punished. In addition, juveniles are not afforded the right to a jury trial. View "State v. Hand" on Justia Law