State v. Aalim

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In State v. Aalim, __ N.E.3d __ (Aalim I), the Supreme Court declared that the Ohio Constitution requires that a juvenile who is subject to mandatory bindover receive an amenability hearing. Implicit in this holding was the conclusion that a juvenile-division judge has discretion in deciding whether to transfer to adult court a juvenile in a case where the juvenile is sixteen or seventeen years old and there is probable cause to believe that the juvenile committed an offense outlined in Ohio Rev. Code 2152.10(A)(2)(b). The Supreme Court then granted the State’s motion for reconsideration, holding that the decision in Aalim I usurped the General Assembly’s exclusive constitutional authority to define the jurisdiction of the courts of common pleas by impermissibly allowing a juvenile division judge discretion to veto the legislature’s grant of jurisdiction to the general division of a court of common pleas over a limited class of juvenile offenders. The court further held that the mandatory bindover of certain juvenile to adult court under Ohio Rev. Code 2152.10(A)(2)(b) and 2152.12(A)(1)(b) does not violate the due course of law clause or the equal protection clause of the Ohio Constitution or the analogous provisions of the Fourteenth Amendment to the United States Constitution. View "State v. Aalim" on Justia Law