State v. Perez-Gutierrez
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The case revolves around Manuel Perez-Gutierrez, who was convicted on eight counts of sexual conduct with a minor. The trial court sentenced Perez-Gutierrez to two twenty-year terms of imprisonment for the first two counts and one-year sentences for the remaining six counts, all to be served consecutively. The court had discretion to impose the remaining sentences consecutively or concurrently but failed to state on record the reason for its determination, as required by A.R.S. § 13-711(A). Perez-Gutierrez appealed this omission.
The Court of Appeals agreed with Perez-Gutierrez and remanded the case, instructing the trial court to record the reasons for its sentencing determination. The court of appeals' decision was based on the precedent set in cases like State v. Anzivino and State v. Harrison, which established a limited-remand practice for such violations. However, a dissenting judge argued that the violation should be reviewed for fundamental error, not requiring a remand.
The Supreme Court of the State of Arizona held that a violation of A.R.S. § 13-711(A) is neither a structural error nor a trial error. Instead, it is akin to an administrative error that a trial court can correct without affecting the disposition. Therefore, the court concluded that a remand for the limited purpose of statutory compliance is appropriate. The court also clarified that the remedy for such a violation does not require resentencing but merely a statement on record explaining the sentencing determination. The court vacated the Court of Appeals' opinion and remanded the case with instructions to suspend the appeal and revest jurisdiction in the trial court to comply with § 13-711(A).
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