State v. Rangel
This text of 444 P.3d 378 (State v. Rangel) is published on Counsel Stack Legal Research, covering Court of Appeals of Kansas primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.
Opinion
Amanda Danielle Rangel appeals her sentence following her convictions of possession of methamphetamine and possession of heroin. We granted Rangel's motion for summary disposition under Kansas Supreme Court Rule 7.041A (2019 Kan. S. Ct. R. 47). The State has filed no response.
On April 10, 2018, Rangel pled guilty to one count of possession of methamphetamine and one count of possession of heroin. As part of the plea agreement, the State agreed to recommend a dispositional departure to probation as long as Rangel committed no new crimes before sentencing. But before sentencing, Rangel was arrested for possession of narcotics in California. At sentencing, Rangel moved for a dispositional departure. While the district court denied that request, it granted a downward durational departure to 72 months' imprisonment. Rangel timely appealed her sentence.
On appeal, Rangel claims the district court erred in not granting her a dispositional departure to probation. She points out that her criminal history is void of any person felonies and her crimes all stem from her addiction to drugs and alcohol. Rangel asserts that she is better suited for probation so she can obtain treatment outside of prison.
We have jurisdiction over Rangel's sentencing appeal because she received a durational departure. See State v. Looney ,
Here, the State agreed to recommend a dispositional departure to probation as long as Rangel committed no new crimes before sentencing, but she could not even meet that challenge. The district court showed leniency to Rangel by granting her a durational departure, but it denied her request for probation when the presumptive sentence called for prison. As the district court told Rangel at the sentencing hearing: "It is simple. Your actions speak far louder than your words." The district court's decision to deny Rangel's request for a dispositional departure was not arbitrary, fanciful, or unreasonable, and it was not based on an error of fact or law. Rangel has failed to show that the district court abused its discretion by denying her request for a dispositional departure.
Affirmed.
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444 P.3d 378, Counsel Stack Legal Research, https://law.counselstack.com/opinion/state-v-rangel-kanctapp-2019.