Commonwealth v. Richardson
Annotate this CaseDefendant was convicted of armed assault with intent to murder and unlawful possession of a firearm. Because the firearms offense for which Defendant was convicted had two applicable sentencing enhancement statutes, and the Commonwealth proved convictions of separate prior offenses for each, the judge imposed two sentences pursuant to the sentencing enhancement statutes. The Supreme Court affirmed Defendant’s convictions but remanded to the superior court with instructions that the judge vacate the sentence of one of the two sentencing enhancement counts, holding that unless the Legislature has explicitly declared its intent to permit multiple sentencing enhancements, a defendant may be sentenced under only one sentencing enhancement statute.
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