In re J.M.

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J.M. (aged 14) and another female minor attacked minor Jane at a cemetery. They took turns slapping, punching and kicking Jane and pulling her hair. Jane estimated that the attack lasted 10 minutes; her injuries included a fractured skull and broken nose. S.S. and J.M. recorded cell phone videos of the attack and shared them with friends. J.M. told a sheriff’s deputy that she wanted to take responsibility. J.M. entered into a plea agreement, admitting a felony charge of torture (Pen. Code, 206). The juvenile court declared J.M. a ward of the court (Welfare and Institutions Code section 6021) and committed her to the Division of Juvenile Justice (DJJ) for a maximum term of seven years. The court of appeal denied a habeas corpus petition, in which J.M. asserted ineffective assistance and that her admission was involuntary because it was based on counsel's advice that there was no minimum amount of time she would need to serve, that she could be released whenever her counselor determined she was ready for release, and that she would likely serve only about half of her term. The court held that mental health diversion under Penal Code sections 1001.35 and 1001.36 does not apply to juveniles in delinquency proceedings. The court ordered that the prohibition against J.M. possessing a “weapon” until age 30 be amended to substitute “firearm” for “weapon.” View "In re J.M." on Justia Law