Pennsylvania v. Washington

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Appellant Terrance Washington was charged with almost two dozen robbery offenses as well as related crimes, and he was convicted by jury trial relative to many of the charges and after pleas concerning others. In 1998, the common pleas court imposed an aggregate sentence of 35 to 70 years’ imprisonment, with the aggregate minimum encompassing multiple mandatory minimum sentences under Section 9712 of the Sentencing Code. Appellant did not initially pursue a direct appeal. He later obtained appellate review nunc pro tunc, however. That appeal was unsuccessful, and the judgments of sentence became final in 2006. Later that year, Appellant filed a timely petition under the Post Conviction Relief Act (PCRA). Notably, Appellant did not raise a Sixth Amendment challenge to the above directives of Section 9712(b). The PCRA court dismissed the petition, and several procedural irregularities ensued, which were addressed in a 2011 order of the Superior Court according Appellant the right to appeal from the dismissal of the post-conviction petition. In 2013, the Supreme Court of the United States issued its Alleyne decision, overruling its prior precedent. The effect of Alleyne was to invalidate a range of Pennsylvania sentencing statutes predicating mandatory minimum penalties upon non-elemental facts and requiring such facts to be determined by a preponderance of the evidence at sentencing. The Superior Court disposed of Appellant’s appeal from the denial of postconviction relief via memorandum opinion in 2015, affirming in relevant part. The Pennsylvania Supreme Court allowed appeal to consider the issue, as framed by Appellant, of “[a]re the mandatory sentences imposed upon petitioner illegal pursuant to Alleyne?” The Court held that Alleyne did not apply retroactively to cases pending on collateral review, and that Appellant’s judgment of sentence, therefore, was not illegal on account of Alleyne. View "Pennsylvania v. Washington" on Justia Law