State v. Jones
State v. Jones
Opinion
{¶ 1} Defendant-Appellant, Malik Jones appeals the November 30, 2016 judgment of the Stark County Court of Common Pleas which denied Jones' motion to dismiss the charge of having weapons under disability.
FACTS AND PROCEDURAL HISTORY
{¶ 2} In September 2016, the Stark County Grand Jury indicted Jones on one count of having weapons under disability, one count of carrying concealed weapons, one count of defacing the identification marks of a firearm, and one count of possession of cocaine. As to the charge of weapons under disability, Jones' disability stemmed from a prior juvenile adjudication for assault, a felony of the fourth degree.
{¶ 3} Because Jones' disability stemmed from a juvenile adjudication, Jones filed a motion to dismiss the charge based on the Supreme Court of Ohio's decision in
State v. Hand
,
{¶ 4} On November 30, 2016, the trial court overruled Jones' motion finding Hand was distinguishable from Jones' case.
{¶ 5} On February 1, 2017, Jones pled no contest to the indicted offenses. The trial court found him guilty and convicted him. Following a pre-sentence investigation, the trial court imposed a jointly recommended sentence of 18 months incarceration, reserved, pending Jones' satisfactory completion of three years community control.
{¶ 6} Jones now brings this appeal raising one assignment of error:
I
{¶ 7} THE TRIAL COURT ERRED WHEN IT DENIED APPELLANT'S MOTION TO DISMISS THE CHARGE OF HAVING WEAPONS UNDER DISABILITY.
{¶ 8} Jones argues the trial court should have dismissed the charge of having weapons under disability based on the authority of Hand . We disagree.
{¶ 9}
State v. Hand
,
1. R.C. 2901.08(A) violates the Due Process Clauses of Article I, Section 16 of the Ohio Constitution because it is fundamentally unfair to treat a juvenile adjudication as a previous conviction that enhances either the degree of the sentence for a subsequent offense committed by an adult.
{¶ 10} The reasoning behind this holding included the fact that "juvenile law and criminal law are not synonymous."
Hand
at ¶ 13. The court noted that while juveniles are afforded a wide range of due process protections during adjudicatory proceedings, they are nonetheless not entitled to a jury trial. That being true, the Court found the use of a juvenile adjudication to enhance the degree of, or the sentence for a subsequent offense a violation of due process under
Apprendi v. New Jersey
,
{¶ 11} In this matter, however, we are asked to apply the holding of Hand to R.C. 2923.13, the weapons under disability statute. That statute states in relevant part:
(A) Unless relieved from disability under operation of law or legal process, no person shall knowingly acquire, carry, or use a firearm or dangerous ordinance if any of the following apply:
* * *
(2) The person is under indictment for, or has been convicted of any felony of violence or, has been adjudicated a delinquent child for the commission of an offense that, if committed by an adult, would have been a felony offense of violence.
{¶ 12} Thus, unlike the statutes at issue in Hand , R.C. 2923.13 does not enhance the degree of or sentence for an offense. Rather, a prior juvenile adjudication for the commission of an offense, which if committed by an adult would be a felony offense of violence, is an element of the offense of possessing weapons under disability.
{¶ 13} Jones argues pursuant to Hand and Apprendi , that juvenile adjudications determined in a civil proceeding, without a jury, cannot serve as the predicate for a later adult conviction for having weapons under disability.
{¶ 14} We find Hand and Apprendi inapplicable to having weapons under disability. The juvenile adjudication is the disability. It does not, as was the case in Hand and Apprendi , impact the degree of or sentence for the offense. Thus the due process concerns present in Hand and Apprendi are absent here.
{¶ 15} Instead, we find as the First District recently found-that the focus of our inquiry is the existence of the disability, not its reliability, and therefore the United States Supreme Court's decision in
Lewis v. United States
,
{¶ 16}
Lewis
involved the use of an uncounseled felony conviction as a predicate for a later charge of knowingly receiving or possessing a firearm. The
Lewis
court held that because the focus of federal gun regulations is to keep firearms out of the hands of those considered potentially dangerous, an invalid felony conviction can serve as the disability prohibiting possession of a firearm without offending the United States Constitution.
Lewis
at 66-67,
{¶ 17} Under Lewis , a disability may attach without a criminal conviction tried to a jury. Indeed, the disabilities enumerated in R.C. 2923.13(A)(1)-(5) include statuses that do not require submission to a jury. Specifically, being under indictment for a felony drug offense, being a drug dependent person, in danger of being drug dependent, or a chronic alcoholic, being under adjudication of mental incompetence, mental defect, or having been committed to a mental institution.
{¶ 18} Our brethren in the First, Second, Seventh, Eighth, and Tenth Districts have rejected the argument Jones advances here.
State v. Carnes
, First Dist.,
{¶ 19} The sole assignment of error is denied.
Gwin, P.J. and Hoffman, J. concur.
Reference
- Full Case Name
- STATE of Ohio, Plaintiff-Appellee v. Malik D. JONES, Defendant-Appellant
- Cited By
- 2 cases
- Status
- Published
- Syllabus
- Denial of motion to dismiss - weapons under disability