Greene v. Commonwealth
Annotate this CaseAppellant pleaded guilty to first-degree manslaughter, second-degree manslaughter, and other crimes. Before final sentencing, Appellant moved to withdraw his guilty plea, arguing that he was provided ineffective assistance of counsel and that he relied on erroneous legal advice regarding time served when he entered his guilty plea. After holding an evidentiary hearing, the trial court denied the motion. The Supreme Court affirmed, holding that the trial court did not abuse its discretion in ruling that Appellant may have received inaccurate advice from his trial counsel about jail-time credit but that Appellant was not prejudiced by counsel’s mistake.
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