People v. Robbins
Opinion of the Court
The court properly declined to sentence defendant as a youthful offender. Because defendant was convicted of an armed felony, he was not eligible for youthful offender treatment without a showing of specified mitigating factors (CPL 720.10 [2] [a] [ii]; [3]), and the record does not establish such mitigation. Defendant played an important role in a series of violent crimes, and the fact that his codefendant’s conduct was even more heinous did not render defendant’s participation so “minor” (CPL 720.10 [3] [ii]) as to render him eligible for youthful offender treatment, which was not warranted in any event. However, we find the sentence excessive to the extent indicated.
Case-law data current through December 31, 2025. Source: CourtListener bulk data.