Pennsylvania v. Dixon (majority)
Annotate this CaseIn this matter, the trial court instructed the jury, prior to deliberations, that one of the prerequisites necessary to establish the crime of witness intimidation as a first-degree felony had been fulfilled. The Pennsylvania Supreme Court allowed appeal to consider whether that instruction violated the defendant’s right to a jury trial under the Sixth Amendment to the United States Constitution as interpreted in Apprendi v. New Jersey, 530 U.S. 466 (2000). The Supreme Court found that that the jury found Appellant’s conduct to have encompassed one or more aggravating factors as set forth in paragraph 18 Pa.C.S. 4952(b)(1); the trial court told the jury that, to return a guilty verdict, it would have to find one of the (b)(1) aggravators. That being the case, the verdict, when purged of the taint stemming from the erroneous instruction, established guilt on the witness-intimidation charge at the third-degree-felony level. The maximum prison sentence Appellant would have faced at that level was seven years. Because Appellant was sentenced to twelve years, for Apprendi purposes the sentence was greater than the otherwise-imposable statutory maximum. Judgment was reversed and remanded for further proceedings.
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