People v. Hilliard
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Hilliard was tried for attempted first-degree murder and aggravated battery with a firearm following the 2013 shooting of Killingsworth, who sustained two gunshot wounds in an unprovoked attack. The court removed Hilliard from the courtroom after he threatened people and became belligerent. He could hear the proceedings in lockup and declined to return to the courtroom. Post-conviction, the court ordered a fitness examination. Hilliard refused to cooperate. The expert found no objective evidence that Hilliard had a major mental illness or cognitive impairment. Hilliard declined to answer questions in the preparation of his PSI, which stated that Hilliard had no relationship with his father, had not attended high school, and self-reported mental illness. Hilliard described his childhood as normal, denying any history of family abuse, substance abuse, or gang affiliation. Hilliard had no criminal history.
The court merged the charge and imposed a 15-year sentence; for personally discharging a firearm that proximately caused bodily harm, the court imposed the 25-year minimum. The appellate court rejected Hilliard’s argument that the mandatory 25-year enhancement was unconstitutionally disproportionate as applied and that the 40-year sentence was excessive in light of his age and absent any prior criminal activity.
In 2019, the court summarily dismissed Hilliard's postconviction petition on the basis that Hilliard was not a juvenile at the time of the shooting and did not receive the harshest penalty possible. The appellate court and Illinois Supreme Court affirmed. Hilliard has no viable claim arising from cases providing heightened protection in juvenile sentencing under the Eighth Amendment prohibition on cruel and unusual punishment. His challenge under the Illinois Constitution's proportionate penalties clause was frivolous when his claims about his social history were compared to the nature of his crime.
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