People v. Patterson
Annotate this CaseDefendant was 15 years old and was a ward of the state, living in a residential treatment facility when he was charged with three counts of aggravated criminal sexual assault against a staff member. Pursuant to the Illinois automatic transfer statute (705 ILCS 405/5-130), his case was transferred from juvenile court to criminal court, where he was tried as an adult, convicted by a jury of all three counts, and sentenced to a total of 36 years in prison. The appellate court remanded for a new trial, holding that the circuit court had erred by admitting defendant’s confession. The court also concluded that evidence of the victim’s sexual history was admissible on remand under the “constitutional necessity” exception to the state rape shield statute (725 ILCS 5/115-7(a)). The Illinois Supreme Court reversed the appellate court’s exclusion of defendant’s confession and determination that evidence of the victim’s sexual history is admissible under an exception to the rape shield statute, rejected his ineffective assistance claim, and upheld the constitutionality of the automatic transfer statute. The court remanded to the appellate court for its initial consideration of defendant’s excessive-sentence claim.
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