Commonwealth v. Perez

by
The Supreme Judicial Court held that its decision in Commonwealth v. Perez, 477 Mass. 677 (2017) (Perez I), requires sentencing judges to follow an individualized process that allows for the consideration of mitigating circumstances related to the juvenile's age and youthful characteristics before imposing a sentence with a longer period of incarceration prior to eligibility for parole than that applicable to a juvenile convicted of murder.In Perez I, the Supreme Judicial Court determined that Defendant, a juvenile, received a sentence for his nonhomicide offenses that was presumptively disproportionate under article 26 of the Massachusetts Declaration of Rights because the time he would serve prior to parole eligibility exceeded that applicable to a juvenile convicted of murder. On remand, a superior court judge held a hearing to determine whether, in light of the factors articulated in Miller v. Alabama, 467 U.S. 460, 477-478 (2012), the case presented extraordinary circumstances justifying a longer parole eligibility period. The judge then concluded that extraordinary circumstances were present and denied Defendant’s motion for resentencing. The Supreme Judicial Court vacated the order and remanded for resentencing, holding that the hearing judge erred in finding extraordinary circumstances in this case. View "Commonwealth v. Perez" on Justia Law