Justia Juvenile Law Opinion Summaries
Articles Posted in Juvenile Law
In re A.M.M.-H.
A.M.M.-H. was sentenced in an extended juvenile jurisdiction proceeding in which he was given both a juvenile sentence and an adult sentence. The adult sentence was stayed pending successful completion of his juvenile sentence. After A.M.M.-H. violated the terms of conditional release on his juvenile sentence the district judge revoked conditional release and ordered A.M.M.-H. to serve his adult prison sentence. The court of appeals affirmed the district court. The Supreme Court reversed, holding (1) in this case, the district judge had discretion to determine whether A.M.M.-H.’s violation of the terms of conditional release warranted revocation of the stay of the adult sentence; and (2) because the record was unclear as to whether the district judge knew he had discretion not to execute the adult sentence upon a finding of violation of the terms of A.M.M.-H.’s conditional release, the case must be remanded for reconsideration of the State’s motion to revoke. View "In re A.M.M.-H." on Justia Law
Posted in:
Criminal Law, Juvenile Law
In re J.T.
Mother challenged a juvenile court order terminating jurisdiction over her son and ordering regular visitation for the son's paternal grandmother, contending that the visitation order impermissibly infringed on her fundamental parenting rights under the Fourteenth Amendment. Mother also argued that the trial court abused its discretion in denying her petition requesting that the court terminate or modify the order for the son to visit the paternal grandmother. The court concluded that the juvenile court did not violate Mother's fundamental parenting rights by issuing an order granting the paternal grandmother visitation where the juvenile court was authorized by statute to issue a visitation order, the visitation order did not infringe on Mother's fundamental right to parent; and the juvenile court did not abuse its discretion in denying Mother's petition seeking modification of the visitation order. Accordingly, the court affirmed the judgment. View "In re J.T." on Justia Law
Posted in:
Family Law, Juvenile Law
Stringer v. Mississippi
Minor Zachary Stringer was charged with the murder of his younger brother, Justin. The jury found Zachary guilty of the lesser-included offense of manslaughter. The trial court sentenced Zachary to twenty years, with ten years to serve and ten years of post-release supervision, with five years reporting. Zachary appealed his conviction and sentence, arguing: (1) the trial court erred by allowing multiple gruesome photographs of the victim and the crime scene into evidence; and (2) the trial court erred in denying his motion for judgment notwithstanding the verdict (JNOV). Finding no error, the Supreme Court affirmed Zachary's conviction and sentence.View "Stringer v. Mississippi" on Justia Law
In the Interest of Kevin R.
The State charged appellant "Kevin R." with possessing a weapon on school grounds. Prior to his adjudicatory hearing before a family court judge, Appellant moved for a jury trial on the grounds the federal and state Constitutions guaranteed him the right to a jury trial. The judge denied the motion and proceeded to hear Appellant's case in a bench trial. Ultimately, the judge adjudicated Appellant delinquent and deferred sentencing until an evaluation of Appellant was completed. The sentencing hearing was conducted before a second family court judge, who sentenced Appellant to an indeterminate period of time not to exceed his twenty- first birthday. The judge then suspended the sentence and placed Appellant on probation until his eighteenth birthday. On appeal, Appellant contended the family court judge erred in denying his motion for a jury trial. Recently, the South Carolina Supreme Court held a juvenile did not have a constitutional right to a jury trial in adjudication proceedings. However, the Court's decision in that case was not dispositive as it was presented with additional arguments raised by Appellant and the Amici Curiae. After consideration of these issues, the Court adhered to its decision in the earlier case, and affirmed the family court.
View "In the Interest of Kevin R." on Justia Law
Idaho v. John Doe (2012-10)
The State appealed the district court’s decision to affirm the magistrate court’s holding that it did not have jurisdiction over John (2012-10) Doe because he was twenty-one years of age when the State filed its petition in juvenile court. Upon review, the Supreme Court reversed the decision of the district court.View "Idaho v. John Doe (2012-10)" on Justia Law
In re A.E.
Father appealed the juvenile court's order removing his three-year-old daughter from his custody for a single occasion of disciplining her by spanking her with a belt on her legs and buttocks. The court concluded that, given all the circumstances, the evidence with respect to the risk of harm to the child if Father were allowed back to the home, does not satisfy the requisite "clear and convincing" standard of proof. Further, there may be less drastic alternatives than an order requiring Father to leave the home. Accordingly, the court reversed the order to the extent it requires Father to remain outside the home and otherwise affirmed the remaining findings. View "In re A.E." on Justia Law
Posted in:
Family Law, Juvenile Law
In re Derrico G.
The trial court concluded that section 5-615 of the Juvenile Court Act, 705 ILCS 405/5-615, was unconstitutional, and ordered a continuance under supervision in a case involving a minor, rejecting a negotiated plea agreement. The minor had been the subject of multiple charges and had failed to appear for court dates. The Illinois Supreme court vacated. The provision at issue grants a State’s Attorney, among others, authority to object to the entry of an order of continuance under supervision in a juvenile case before a finding of guilt. The court noted that juvenile proceedings are fundamentally different from criminal proceedings, a difference which extends to the role of the state. The purposes and objectives of the Juvenile Court Act are protective in nature, to correct and rehabilitate, not to punish, and the Act lists the State’s Attorney among those who would undoubtedly be concerned with the children’s best interests. The State’s Attorney has a duty to see that justice is done not only to the public at large, but to the accused as well. In this case, the state exercised its authority under section 5-615 in accordance with that duty.View "In re Derrico G." on Justia Law
In re Rebecca C.
Mother appealed the juvenile dependency court's jurisdictional orders based on its findings that Mother has a history of substance abuse which renders her incapable of providing her teenage daughter with regular care and supervision. The dependency court further found that Mother's drug abuse endangered her daughter's health and safety, and places her daughter at risk of physical harm. The court concluded that substantial evidence supported the dependency court's finding that Mother suffers from a substance problem. The court concluded, however, that the evidence does not support the dependency court's finding that her substance abuse has caused or is causing a substantial risk of harm to the daughter. Accordingly, the court reversed the dependency court's orders. View "In re Rebecca C." on Justia Law
Posted in:
Family Law, Juvenile Law
State v. Mantich
Defendant was convicted of first degree murder and sentenced to life imprisonment for a murder he committed when he was sixteen years old. More than fifteen years later, Defendant filed an amended postconviction motion challenging his life imprisonment sentence. The district court denied the motion. After Defendant appealed, the U.S. Supreme Court decided Miller v. Alabama, which held that the Eighth Amendment forbids a state sentencing scheme that mandates life in prison without the possibility of parole for a juvenile offender convicted of homicide. The Supreme Court reversed in this case, holding (1) the rule announced in Miller applied retroactively to Defendant; and (2) Defendant’s sentence was unconstitutional under Miller, and therefore, Defendant was entitled to be resentenced. Remanded. View "State v. Mantich" on Justia Law
In re Trevor G.
Juvenile Trevor G. was arraigned on a delinquency petition alleging he had endangered the welfare of a minor. He moved to dismiss the petition because none of the State's witnesses against him were present, and therefore the State could not proceed with its case. The State acknowledged none of its witnesses were present and did not object to the motion, but requested leave to file for reconsideration if it learned there was a good reason why its witnesses did not show. The case was dismissed for lack of prosecution, and the State did not move for reconsideration. A few months later, the State refiled its petition. Trevor moved to dismiss, arguing that the adjudicatory hearing was outside the statutory time limit. The court again held a hearing, and again the witnesses did not show. The Court denied Trevor's motion, finding that because Trevor initiated the dismissal, the State was not barred from re-filing. The Supreme Court granted the trial court's request for interlocutory appeal. The issue before the Court was whether the trial court erred in its conclusion that the statutory time limits for the State to re-file its delinquency petition for lack of prosecution was not violated because the dismissal was initiated by the juvenile. The Supreme Court concluded that the trial court erred in its interpretation, and reversed the order denying Trevor's motion to dismiss.
View "In re Trevor G." on Justia Law
Posted in:
Constitutional Law, Juvenile Law