Commonwealth v. Torres
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In 1999, the defendant admitted to sufficient facts to support a finding of guilty for distributing a class A substance. He later sought to withdraw this admission, claiming his plea counsel failed to inform him that it would lead to mandatory deportation. The defendant, a legal permanent resident since 1994, argued that he would have insisted on going to trial had he known the immigration consequences, citing his strong ties to the United States, including his American citizen wife and children, and his consistent employment as a welder.
The defendant's initial motion for a new trial was denied due to the absence of an affidavit from his plea counsel. He then filed a renewed motion with the necessary affidavit, which was also denied by a District Court judge after a non-evidentiary hearing. The judge concluded that while the plea counsel was ineffective, the defendant failed to demonstrate prejudice. The Appeals Court affirmed this decision.
The Supreme Judicial Court of Massachusetts reviewed the case, focusing on whether the defendant established prejudice from his counsel's ineffectiveness. The court found that the motion judge improperly assessed the defendant's claim by not applying the reasonable person standard and by making credibility determinations about the defendant's assertion that he would have gone to trial. The court vacated the denial of the renewed motion and remanded the case for further findings on whether the defendant's ties to the United States constituted special circumstances and whether a reasonable person in his situation would have chosen to go to trial if properly advised.
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