New Jersey v. Urbina

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In 2007, Camden police officers arrived at the scene of a shooting where they found the body of Edwin Torres on the sidewalk. Torres had suffered multiple gunshot wounds to the head and neck. An eyewitness identified defendant, who was a juvenile, as the shooter. Three days later, defendant Edwin Urbina surrendered, and, subsequently, he voluntarily elected to have his case transferred from the Family Part to the Law Division. In order to avoid an indictment for first-degree murder, defendant entered into a negotiated plea agreement, agreeing to proceed as an adult and plead guilty to one count of aggravated manslaughter in exchange for the State's recommendation of a sentence not to exceed seventeen and a half years' incarceration, subject to an eighty-five percent parole disqualifier and five years of post-release parole supervision. Nearly three years after his sentencing, defendant appealed, arguing that the trial court erred in accepting his guilty plea because the factual basis elicited for the plea indicated that he was asserting a complete defense to the charge. In a split decision, the Appellate Division affirmed defendant's conviction and sentence. The majority held that, although defendant testified to facts that raised the possibility of self-defense, when considered in light of the surrounding circumstances, his testimony did not constitute a contemporaneous claim of innocence requiring vacation of the plea. The Supreme Court reversed, however, finding that after defendant stated during the plea colloquy that he pulled his handgun after the victim and his cousin pulled their guns, and said "I ain't mean to kill him, your Honor. I just wanted to have him back up[,]" the trial court should have explored whether defendant was claiming he acted in self-defense. The Court found that the plea judge did not ensure that defendant truly understood the law of self-defense, including the requirement of a reasonable and honest belief in the necessity of using force, or that he understood that the State had the burden to disprove self-defense once asserted. "Absent such an inquiry on the record, it is unclear whether defendant's plea was truly knowing, intelligent, and voluntary." View "New Jersey v. Urbina" on Justia Law