Utah v. I.R.C. 2010 UT 41, (Utah Supreme Court, May 14, 2010).
I.R.C. was bound over for trial as an adult for aggravated robbery. In order to bind a case over to the criminal court, the charges must be of those enumerated in statute, and prosecution must present sufficient evidence to support a reasonable belief that Defendant committed the crime. The trial court found that there was sufficient evidence to believe that I.R.C. was aware that the robbery would be committed with a weapon. A juvenile court may retain the case if the minor shows that he has not been previously adjudicated as delinquent, that he has a lesser degree of culpability than any co-defendants, and the minor’s role in the crime was not violent, aggressive, or premeditated. In this case, the juvenile did not prove that he had not premeditated the crime. I.R.C. knew about the crime and drove his friend to the scene of the crime. Because there was a reasonable inference that I.R.C. knew about the weapon and because he failed to prove the retention factors, the Supreme Court Affirmed the juvenile court.
Dissent: Durham concludes that the friend’s statements did not give I.R.C. notice that gun was going to be used and the testimony does not support the reasonable inference that he knew, as such, the crime would not be aggravated robbery and thus, could not be bound over.
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