Allen v. Commonwealth
Annotate this CaseDefendant was charged with third-degree burglary, first-degree criminal mischief, theft by unlawful taking, receiving stolen property, and being a persistent felony offender. Defendant requested that he represent himself in the jury trial. The trial court appointed standby counsel for Defendant despite his objection. At trial, the court restricted the range of Defendant's self-representation by barring him from all bench conference and allowed only standby counsel to participate. After the trial, Defendant was convicted and sentenced to twenty years' imprisonment as a persistent felony offender. The Supreme Court reversed, holding that the trial court's restriction of standby counsel at bench conferences in lieu of Defendant himself or hybrid counsel violated Defendant's Sixth Amendment rights by leaving Defendant unrepresented at these critical stages in the trial proceeding.
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