People v. McFadden
Annotate this CaseIn 2002, defendant, then age 17, was indicted on six counts of aggravated unlawful use of a weapon (AUUW) The counts alleged that he carried in a vehicle, outside the home, a .38-caliber handgun and a 9-millimeter handgun, each of which was “uncased, loaded and immediately accessible,” without a valid FOID card, and while under 21 years of age (720 ILCS 5/24-1.6(a)(1), (a)(3)(A)). He pleaded guilty to one count. Defendant subsequently violated the terms of his probation, which was ultimately terminated unsatisfactorily. In 2005, defendant was convicted of possession of a controlled substance with the intent to deliver and was sentenced to six years in prison. In 2008, defendant was charged in separate cases with multiple counts of armed robbery, AUUW, and unauthorized use of a weapon (UUW) by a felon, 720 ILCS 5/24-1.1(a), “having been previously convicted of the felony offense of [AUUW].” Defendant had robbed three different victims at gunpoint within a 24-hour period. Defendant agreed, and acknowledged that he understood that he was agreeing, that he had a prior AUUW conviction. Convicted, defendant was sentenced to concurrent prison terms of 29 years for each robbery, with a concurrent sentence of 10 years for the UUW convictions. The appellate court vacated one UUW conviction, citing one-act, one-crime principles, and vacated the remaining UUW, because the AUUW conviction arose from a statute that was held to be facially unconstitutional in People v. Aguilar, 2013. The Illinois Supreme Court reinstated the conviction. Under the UUW by a felon statute, defendant’s felon status at the time of the offense properly served as sufficient proof of the predicate felony conviction.
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