Kelsey v. State

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Defendant pleaded guilty to two counts of armed sexual battery, armed burglary, and armed robbery. Defendant was fifteen years old at the time he committed the offenses. The trial court sentenced Defendant to two life sentences and two concurrent twenty-five-year terms. After Graham v. Florida was decided, the trial court resentenced Defendant to concurrent sentences of forty-five years. On appeal, the First District Court of Appeal concluded that Defendant was not entitled to resentencing under Henry v. State, which applied the new sentence review statute to a Graham-eligible defendant, because Defendant’s forty-five-year term of imprisonment did not constitute a de facto life sentence in violation of Graham. However, the district court certified a question to the Supreme Court regarding the need for clarity on a category of Graham cases. The Supreme Court disapproved the court of appeal’s decision affirming Defendant’s resentencing, holding that a defendant whose initial sentence for a nonhomicide crime violated Graham and who was resentenced to concurrent forty-five year terms was entitled to new resentencing under the framework established in chapter 2014-220, Laws of Florida. View "Kelsey v. State" on Justia Law