Justia Juvenile Law Opinion Summaries

Articles Posted in Supreme Court of Ohio
by
The Supreme Court held that the general division of a common pleas court does not have jurisdiction over an offender who was arrested at the age of twenty for felonious acts he allegedly committed as a juvenile.Appellant was arrested at the age of twenty for acts he allegedly committed when he was seventeen years old, acts that would have been felonious had they been committed by an adult. Appellant was first indicted in the general division of the court of common pleas. The State recognized that the general division did not have jurisdiction over Appellant under Ohio Rev. Code 2152.02(C)(3) and 2151.23(I) and moved to dismiss the indictment. The indictment was dismissed, but because Appellant was twenty-two years old at that point, the State reindicted him in the general division the next day. The court of appeals affirmed. The Supreme Court reversed, holding that the jurisdiction of the general division of the court of common pleas is not invoked when a person is arrested at the age of twenty for felonious acts that he allegedly committed as a juvenile. View "State v. Hudson" on Justia Law

by
The Supreme Court reversed the judgment of the court of appeals affirming Appellant's conviction and vacated the conviction, holding that no adult court had jurisdiction over acts that were charged in but not bound over by the juvenile court.Appellant was sixteen years old when he was charged with committing the category-two offense of aggravated robbery while possessing a deadly weapon. Binding Appellant over to adult court would have been mandatory for counts one and two upon a finding of probable cause. The juvenile court found probable cause as to counts one through three and count five, a misdemeanor. After the case was transferred to the adult court, Appellant pled guilty to several charges. On appeal, Appellant argued that the adult court lacked jurisdiction to consider the charges for which the juvenile court found no probable cause. The Supreme Court reversed, holding that in the absence of a juvenile court's finding probable cause or making a finding that the juvenile is unalienable to care or rehabilitation within the juvenile system, no adult court has jurisdiction over acts that were charged in but not bound over by the juvenile court. View "State v. Smith" on Justia Law

by
The Supreme Court granted Guernsey County Juvenile Court Judge David Bennett's motion to dismiss this habeas corpus action against him and sua sponte dismissed this action as to Muskingum County Juvenile Court Magistrate Erin Welch, holding that the petition was procedurally defective and failed to state a claim for relief.Petitioner filed an amended petition for a writ of habeas corpus on behalf of his minor son, E.G., naming Judge Bennett and Magistrate Welch as respondents and alleging that E.G.'s current detention was illegal. The Supreme Court dismissed the action because (1) the amended petition was defective for failure to satisfy Ohio Rev. Code 2725.04(D); (2) Petitioner failed to name a proper respondent; and (3) Petitioner's amended petition failed to stat a valid claim for habeas relief. View "Gomez v. Bennett" on Justia Law

by
The Supreme Court held that Ohio Rev. Code 2953.08(D)(3) does not preclude an appellate court from reviewing a sentence imposed by a trial court for aggravated murder when a defendant raises a constitutional claim regarding that sentence on appeal.A jury found Defendant guilty of aggravated murder and other offenses stemming from a fatal shooting when Defendant was seventeen years old. The trial court sentenced Defendant to life imprisonment with parole eligibility after thirty years for the aggravated murder offense. On appeal, Defendant argued that his sentence violated the Eighth and Fourteenth Amendments. The court of appeals affirmed. The Supreme Court affirmed, holding (1) Ohio Rev. Code 2953.08(D)(3) does not preclude an appellate court from reviewing a sentence imposed by a trial court for aggravated murder when a defendant raises a constitutional claim regarding that sentence on appeal; and (2) consistent with this Court's decision in State v. Long, 8 N.E.3d 890 (Ohio 2014), a trial court must separately consider the youth of a juvenile offender as a mitigating factor before imposing a life sentence under Ohio Rev. Code 2929.03 even if that sentence includes eligibility for parole. View "State v. Patrick" on Justia Law

by
The Supreme Court reversed the judgment of the court of appeals concluding that the juvenile court lacked jurisdiction to adjudicate R.B. delinquent, holding that the timing requirements of Ohio Rev. Code 2152.84 are not jurisdictional.The juvenile court adjudicated R.B. delinquent, classified him as a sex offender, and imposed a disposition that included probation. After a second sex-offender-classification hearing the juvenile court kept R.B.'s classification the same. R.B. appealed, arguing that the juvenile court was required to hold the review hearing and and issue its decision on the precise day his disposition ended and because the juvenile court did not do so, it lost jurisdiction to continue his classification. The Supreme Court disagreed, holding (1) the language "upon completion of the disposition" found in section 2152.84(A)(1) requires only that the court's review take place within a "reasonable time" of the juvenile's completion of his disposition; and (2) section 2151.23(A)(15) vests the juvenile court with jurisdiction to carry out its requirements under the classification statutes, independent of whether the delinquent child has reached the age of twenty-one. View "In re R.B." on Justia Law

by
The Supreme Court affirmed the judgment of the court of appeals holding that a conviction for failure to register as a sex offender under Ohio Rev. Code 2950.04 does not violate a defendant's due-process and jury-trial rights guaranteed by the state and federal Constitutions when the duty to register arises from a juvenile court's delinquency adjudication, holding that such a conviction is not unconstitutional.Appellant was adjudicated delinquent as to what would have been two counts of fourth-degree felony gross sexual imposition if committed by an adult. Appellant was classified as a juvenile-offender registrant and tier I sex offender and was ordered to comply with statutory registration, notification-of-address-change, and verification duties for a period of ten years. Appellant was later convicted for violating a duty to register as a sex offender. On appeal, Appellant argued that his conviction was unconstitutional based on State v. Hand, 73 N.E.3d 448 (Ohio 2016). The court of appeals affirmed. The Supreme Court affirmed, holding (1) that Appellant's conviction for a violation of section 2950.04 for that arose from a juvenile adjudication did not violate Appellant's rights to a jury or due process under the Ohio Constitution and United States Constitution. View "State v. Buttery" on Justia Law

by
The Supreme Court vacated the adult portion of A.W.'s juvenile disposition, holding that because the juvenile court's order invoking the adult sentence under the serious youthful offender (SYO) specification was not journalized until A.W. turned twenty-one years old, the juvenile court lacked subject matter jurisdiction when it entered the adult portion of the sentence.At the age of seventeen, A.W. committed an act which, if committed by an adult, would constitute the offense of rape. The count was later amended to include an SYO specification. The court placed A.W. in custody until he would turn twenty-one years old and found A.W. to be an SYO. As A.W. neared his twenty-first birthday the State filed a motion to invoke the adult portion of his SYO sentence on the grounds that he had failed to complete "mandatory" sex-offender treatment. After a hearing, the juvenile court terminated the juvenile disposition and invoked the adult sentence. The court of appeals affirmed. The Supreme Court reversed, holding that although the juvenile court issued its order invoking the adult sentence while A.W. was twenty years old, the clerk of the court did not enter that order upon the journal until after A.W. turned twenty-one years old, depriving the juvenile court of subject matter jurisdiction. View "In re A.W." on Justia Law

by
The Supreme Court affirmed the judgment of the court of appeals dismissing Appellant's petition for a writ of habeas corpus, holding that Appellant's petition was barred by the doctrine of res judicata.At the time he was a seventeen-year-old juvenile, Appellant was subjected to mandatory bindover to adult court regarding several charges. Appellant later pleaded guilty to murder with a firearm specification. The court of appeals erred, rejecting Appellant's argument that he had been entitled to an amenability hearing in the juvenile court before his case could be transferred to the adult court. Appellant later filed a petition for a writ of habeas corpus arguing that he was entitled to release because the juvenile court failed to conduct an amenability hearing and make the required findings to transfer his case to the adult court. The court of appeals dismissed the habeas petition. The Supreme Court affirmed, holding that because Appellant's petition again challenged the validity of his bindover proceedings his petition was barred by the doctrine of res judicata. View "Moore v. Wainwright" on Justia Law

by
The Supreme Court affirmed the judgment of the court of appeals denying Appellant's pro se petition for a writ of habeas corpus, holding that the court of appeals correctly denied relief.Appellant was sixteen years old when four delinquency complaints were filed in juvenile court. The cases were transferred to adult court where Appellant was convicted of five felony counts and sentenced to an aggregate prison term of sixteen years. Appellant later filed this habeas corpus petition alleging that the juvenile court did not fully comply with the procedures for transferring jurisdiction to the adult court because it did not timely notify his father of a hearing in one of the cases that led to the transfer of some of the charges. The court of appeals denied the writ. The Supreme Court affirmed, holding that the juvenile court's failure to provide timely notice was not a defect that deprived the adult court of subject matter jurisdiction. View "Smith v. May" on Justia Law

by
The Supreme Court held that using a prior juvenile adjudication of delinquency for the commission of an offense that would have been felonious assault if committed by an adult as an element of the offense of having a weapon under disability, as set forth in Ohio Rev. Code 2923.13(A)(2), does not violate due process under the Ohio or United States Constitutions.Appellant was indicted on one count of having a weapon while under a disability. The alleged disability stemmed from Appellant’s prior adjudication of delinquency as a juvenile for committing a felonious assault. Appellant filed a motion to dismiss, asserting that his juvenile adjudication could not be used as a predicate for criminal conduct under section 2923.13(A)(2). The trial court denied the motion to dismiss. Appellant was subsequently convicted and sentenced. The court of appeal affirmed. The Supreme Court affirmed, holding that a previous juvenile adjudication may be an element of the weapons-under-disability offense set forth in section 2923.13(A)(2) without violating due process. View "State v. Carnes" on Justia Law