Commonwealth v. Carson C.
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The Supreme Judicial Court affirmed the judgment of the juvenile court judge denying Juvenile's motion to continue his arraignment for a competency evaluation and denying Juvenile's petition for expungement pursuant to Mass. Gen. Laws ch. 276, 100K(a)(5), holding that the juvenile court did not abuse its discretion.
In two separate cases, Juvenile was charged with several offenses, including multiple counts of assault and battery by means of a dangerous weapon. Prior to arraignment, Juvenile filed a motion to continue so that he could undergo a competency evaluation and also filed a motion to dismiss. The judge denied the motions. Following an evaluation of Juvenile, the judge determined that Juvenile was incompetent to stand trial and was unlikely to become competent within the foreseeable future. The judge then dismissed all pending charges. Juvenile filed petition for expungement, which the juvenile court denied. The Supreme Court affirmed, holding that Juvenile was not eligible for expungement under Mass. Gen. Laws ch. 276, 100K(a)(5), and therefore, the juvenile court judge did not abuse his discretion in denying Juvenile's petition.
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