People v. K.D.
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In June 2021, the defendant, K.D., stole a car with a one-year-old child inside. She was arrested shortly after and found with the stolen items. K.D. admitted to taking the car and knowing the child was inside. She was charged with kidnapping, child abduction, and vehicle theft. K.D.'s defense counsel raised doubts about her competency, leading to evaluations that diagnosed her with a moderate intellectual disability. She was found incompetent to stand trial and was committed to the Porterville Developmental Center for treatment. After being declared competent in August 2022, K.D. requested developmental disability diversion.
The Mendocino County Superior Court initially denied K.D.'s request for diversion, citing her lack of ties to the community, her criminal history, and concerns about her ability to comply with diversion requirements. The court also noted that K.D. had never received services from the regional center and had a history of probation violations. Despite acknowledging her developmental disability, the court concluded that her disability was not related to the charged offense and that she would not benefit from diversion.
The California Court of Appeal, First Appellate District, Division Four, reviewed the case. The court found that the trial court had abused its discretion by not properly considering the relationship between K.D.'s developmental disability and the charged offense. The appellate court noted that the trial court failed to ensure that the regional center provided a proper report and diversion plan tailored to K.D.'s needs. The appellate court conditionally reversed the judgment and remanded the case for a new diversion eligibility hearing, instructing the trial court to comply with statutory requirements and consider whether K.D. would benefit from diversion. If K.D. satisfactorily completes diversion, the charges should be dismissed; otherwise, her conviction should be reinstated.
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