People v McAlpin

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Defendant violated several terms of the youthful offender agreement and, at the subsequent sentencing proceeding, Supreme Court imposed a determinate prison sentence of three and one-half years plus five years of post-release supervision. On appeal, defendant contended that reversal was required under People v Catu. The court held that, having elected to advise defendant of the consequences that might flow from the violation of the youthful offender agreement, Supreme Court referenced only a prison term, omitting any mention of the possibility of post-release supervision, thereby giving defendant an inaccurate impression concerning the sentencing options. Accordingly, the court concluded that reversal and vacatur of the plea was appropriate. View "People v McAlpin" on Justia Law