Michigan v. Lee
Annotate this Case
In 2005, Defendant Kent Lee and his wife babysat their neighbor's two boys. Defendant prepared the children for bedtime by bathing them. The younger boy, a three-year-old, was uncooperative when Defendant tried to diaper and dress him. According to Defendant, he used his finger to "flick" the child's penis in an effort to get his attention. When the child did not respond, Defendant flicked him again. The child cried after the second flick. Defendant was subsequently charged with second-degree criminal sexual conduct and second-degree child abuse. At his sentencing hearing, the prosecution requested that Defendant be required to register as a sex offender under the Sex Offender’s Registration Act's (SORA) catch-all provision. The judge did not require the registration, finding that the crime was not a "sex act." Approximately twenty months after the sentencing, the prosecution moved for an entry of order requiring Defendant to register under SORA. Defendant objected, but the trial court reversed itself, and required the registration. Defendant appealed. The appellate court affirmed. Upon review, the Supreme Court found that the trial court erred when it required Defendant to register 20 months after he was sentenced. The Court reversed the appellate court and vacated the trial court's decisions.
Some case metadata and case summaries were written with the help of AI, which can produce inaccuracies. You should read the full case before relying on it for legal research purposes.
This site is protected by reCAPTCHA and the Google Privacy Policy and Terms of Service apply.