State v. John Doe

469 P.3d 36, 167 Idaho 249
CourtIdaho Court of Appeals
DecidedJuly 10, 2020
Docket47401 / 47402
StatusPublished

This text of 469 P.3d 36 (State v. John Doe) is published on Counsel Stack Legal Research, covering Idaho Court of Appeals primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
State v. John Doe, 469 P.3d 36, 167 Idaho 249 (Idaho Ct. App. 2020).

Opinion

IN THE COURT OF APPEALS OF THE STATE OF IDAHO

Docket Nos. 47401 & 47402

In the Interest of: JOHN DOE, A Juvenile ) Under Eighteen Years of Age. ) STATE OF IDAHO, ) ) Opinion Filed: July 10, 2020 Plaintiff-Respondent, ) ) Melanie Gagnepain, Clerk v. ) ) JOHN DOE (2016-26), ) ) Defendant-Appellant. ) )

Appeal from the District Court of the Third Judicial District, State of Idaho, Payette County. Hon. Susan E. Wiebe, District Judge. Hon. Brian D. Lee, Magistrate.

Order of the district court, on intermediate appeal from the magistrate court, waiving juvenile court jurisdiction, affirmed.

Fisher Law Office, PLLC; Steven Fisher, Boise, for appellant. Steven Fisher argued.

Hon. Lawrence G. Wasden, Attorney General; Jeffrey D. Nye, Deputy Attorney General, Boise, for respondent. Kenneth K. Jorgensen argued. ________________________________________________

HUSKEY, Chief Judge N.C. appeals from the order of the district court, on intermediate appeal from the magistrate court, waiving juvenile jurisdiction and allowing N.C. to be prosecuted as an adult in adult criminal court. On appeal, N.C. alleges the district court erred in affirming the decision of the magistrate court because the magistrate court’s waiver order constituted an abuse of discretion. N.C. argues the magistrate court: (1) misinterpreted two of the guiding statutory factors when it decided to waive N.C. into adult court; (2) made findings of fact that were not supported by substantial and competent evidence; and (3) used the probable cause standard of proof, instead of the beyond a reasonable doubt standard, to support its waiver order. The magistrate court correctly exercised its discretion in applying the statutory factors guiding its

1 waiver decision and its factual findings were supported by substantial and competent evidence. Accordingly, the district court did not err in affirming the magistrate court’s order waiving juvenile court jurisdiction. I. FACTUAL AND PROCEDURAL BACKGROUND The State charged N.C. with twelve felony and three misdemeanor counts of possession of sexually exploitative material for other than a commercial purpose after law enforcement found explicit pictures of females who appeared to be under the age of eighteen on N.C.’s cellular phone. After finding that N.C. came within the preview of the Juvenile Corrections Act (JCA), the magistrate court released N.C. to the custody of his parents under a conditional release program. As one of the conditions of release, the magistrate court ordered N.C. to refrain from social media use and not possess or use a smart phone or any other device to access the Internet. N.C. subsequently violated the terms of release by possessing a smart phone, engaging in communications through an Internet-enabled device, and using a PlayStation 4 gaming console to communicate with individuals online. The magistrate court revoked N.C.’s pretrial release and ordered that he be detained in protective custody in the Southwest Idaho Juvenile Detention Center (SIJDC). The State searched N.C.’s new smart phone. This search resulted in the discovery of additional images of child pornography, and the State charged N.C. with an additional thirty felony and two misdemeanor charges for possession of sexually exploitative material. The State filed a motion to waive N.C. into adult court for both cases. The magistrate court again released N.C. to the custody of his parents under similar conditions as his previous pretrial release. Again, N.C. violated his pretrial release conditions by engaging in online communications through the social media application Snapchat and possessing components to build a computer that would be able to access the Internet. Consequently, the magistrate court revoked N.C.’s pretrial release and ordered his recommitment to the SIJDC. The magistrate court held a hearing on the State’s motion to waive N.C. into adult court for both cases. After hearing testimony from eleven witnesses, the magistrate court granted the State’s motion and waived juvenile jurisdiction over N.C. N.C. appealed to the district court. Subsequently, the district court affirmed the magistrate court’s waiver of juvenile jurisdiction. N.C. timely appeals.

2 II. STANDARD OF REVIEW For an appeal from the district court, sitting in its appellate capacity over a case from the magistrate division, this Court’s standard of review is the same as expressed by the Idaho Supreme Court. The Supreme Court reviews the magistrate court record to determine whether there is substantial and competent evidence to support the magistrate court’s findings of fact and whether the magistrate court’s conclusions of law follow from those findings. State v. Korn, 148 Idaho 413, 415, 224 P.3d 480, 482 (2009). If those findings are so supported and the conclusions follow therefrom, and if the district court affirmed the magistrate court’s decision, we affirm the district court’s decision as a matter of procedure. Id. Thus, the appellate courts do not review the decision of the magistrate court. State v. Trusdall, 155 Idaho 965, 968, 318 P.3d 955, 958 (Ct. App. 2014). Rather, we are procedurally bound to affirm or reverse the decision of the district court. Id. A court’s decision to waive a juvenile into adult court will be upheld on appeal so long as it was not an abuse of discretion. In re Doe, 147 Idaho 243, 247, 207 P.3d 974, 978 (2009). When a trial court’s discretionary decision is reviewed on appeal, the appellate court conducts a multi-tiered inquiry to determine whether the lower court: (1) correctly perceived the issue as one of discretion; (2) acted within the boundaries of such discretion; (3) acted consistently with any legal standards applicable to the specific choices before it; and (4) reached its decision by an exercise of reason. State v. Herrera, 164 Idaho 261, 270, 429 P.3d 149, 158 (2018). This Court exercises free review over the application and construction of statutes. State v. Reyes, 139 Idaho 502, 505, 80 P.3d 1103, 1106 (Ct. App. 2003). Where the language of a statute is plain and unambiguous, this Court must give effect to the statute as written, without engaging in statutory construction. State v. Burnight, 132 Idaho 654, 659, 978 P.2d 214, 219 (1999); State v. Escobar, 134 Idaho 387, 389, 3 P.3d 65, 67 (Ct. App. 2000). The language of the statute is to be given its plain, obvious, and rational meaning. Burnight, 132 Idaho at 659, 978 P.2d at 219. If the language is clear and unambiguous, there is no occasion for the court to resort to legislative history or rules of statutory interpretation. Escobar, 134 Idaho at 389, 3 P.3d at 67. When this Court must engage in statutory construction because an ambiguity exists, it has the duty to ascertain the legislative intent and give effect to that intent. State v. Beard, 135 Idaho 641, 646, 22 P.3d 116, 121 (Ct. App. 2001). To ascertain such intent, not only must the literal

3 words of the statute be examined, but also the context of those words, the public policy behind the statute, and its legislative history. Id. It is incumbent upon a court to give an ambiguous statute an interpretation which will not render it a nullity. Id. Constructions of an ambiguous statute that would lead to an absurd result are disfavored. State v.

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Bluebook (online)
469 P.3d 36, 167 Idaho 249, Counsel Stack Legal Research, https://law.counselstack.com/opinion/state-v-john-doe-idahoctapp-2020.