State v. Stafford, Unpublished Decision (3-10-2006)

2006 Ohio 1105
CourtOhio Court of Appeals
DecidedMarch 10, 2006
DocketAppeal No. C-050286.
StatusUnpublished
Cited by2 cases

This text of 2006 Ohio 1105 (State v. Stafford, Unpublished Decision (3-10-2006)) is published on Counsel Stack Legal Research, covering Ohio Court of Appeals primary law.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State v. Stafford, Unpublished Decision (3-10-2006), 2006 Ohio 1105 (Ohio Ct. App. 2006).

Opinion

DECISION.
{¶ 1} Defendant-appellant Darrin Stafford challenges the trial court's sentence of 19 years for aggravated vehicular homicide and three counts of vehicular assault. Stafford argues that his sentence was unconstitutional because the trial court made inappropriate findings to raise his sentence above the statutory minimum and to impose consecutive sentences.

{¶ 2} In light of the Ohio Supreme Court's decision in Statev. Foster,1 we must vacate the sentence and remand for resentencing. Trial courts now have full discretion to impose a prison sentence within the statutory range and are no longer required to make findings or to give their reasons for imposing consecutive or more than the minimum sentences.

I. A Tragic Accident
{¶ 3} This is the second time Stafford has appeared before this court. A full discourse of the facts appears in our decision in State v. Stafford.2 But for the purposes of this appeal, an abridged version is provided.

{¶ 4} In November 2001, Stafford and Frederick Shipman, a co-worker and friend, decided to attend a Cincinnati Bengals football game. The two left Evansville, Indiana, and got into Shipman's Kia Sportage, and Shipman started driving to Cincinnati the morning of the game.

{¶ 5} Stafford is a paraplegic who cannot voluntarily move his legs. He was licensed to drive, but only if the vehicle was equipped with special adaptations such as hand controls for the accelerator and the brake. But Stafford's driver's license had been suspended under Indiana law earlier that year because he had failed to appear in court for a traffic violation.

{¶ 6} On the road near Louisville, Kentucky, Shipman was having trouble driving because he had been drinking heavily the night before. So Stafford and Shipman switched places, and Stafford continued to drive to Cincinnati. He drove along Interstate 71 and Interstate 75, over the Brent Spence Bridge, and exited at Second Street in downtown Cincinnati.

{¶ 7} As the Kia approached an intersection on Second Street, the vehicle went through a red light. Unfortunately, there were many pedestrians crossing the street who were also headed to the Bengals game. The Kia struck Scott Asbrock, Stewart Williams, Kyle Fields, and Officer Jon Harris. Asbrock died as a result of his injuries. Williams was knocked unconscious, but was revived and taken to the hospital. He suffered multiple skull fractures and brain trauma, and was in a coma for several months before finally regaining consciousness. Williams has had to undergo extensive rehabilitation. Fields suffered a broken leg, along with various cuts and bruises. The Kia clipped Officer Harris, who was assisting pedestrians across the street, and injured his wrist. Other pedestrians may have sustained minor injuries, but none of those injuries led to criminal charges.

{¶ 8} Stafford was arrested and later charged with one count of aggravated vehicular homicide and three counts of vehicular assault. At trial, Stafford argued that he was not driving the Kia at the time of the accident. Instead, he said that Shipman had been driving at the time of the accident. Stafford claimed (and still claims) that Shipman forced him to switch places after the accident but before Officer Harris arrived at the vehicle.

{¶ 9} The jury did not believe Stafford's story and found him guilty of all four counts. The trial court originally sentenced him to 20 years' imprisonment. In his first appeal before this court, we affirmed Stafford's findings of guilt, yet vacated his sentence because we were convinced that his due-process rights had been violated when the trial court threatened Stafford to take a plea bargain or to risk being sentenced to nine extra years in prison.

{¶ 10} On remand, Stafford was sentenced by a different judge to a total of 19 years in prison — seven years for the homicide and four years for each assault, with each term to run consecutively.

II. Sentencing
{¶ 11} In Stafford's first assignment of error, he argues that the court's sentence of 19 years violated his due-process rights guaranteed by the Sixth and Fourteenth Amendments to the United States Constitution, and Sections Five and Sixteen, Article I, of the Ohio Constitution. Stafford relies on the United States Supreme Court's holding in Blakely v.Washington3 and our opinion in State v.Montgomery.4 In particular, Stafford maintains that the court's findings in this case were impermissible and involved facts that should have been submitted to the jury and proved beyond a reasonable doubt. The thrust of Stafford's argument is that because he had not been convicted of a felony or served a prior prison term, the maximum statutory prison term was the shortest prison term for the charged offenses — two years for the aggravated vehicular homicide, and one year for each vehicular assault resulting in severe injuries.

{¶ 12} The Supreme Court in Apprendi v. New Jersey5 held that the right to a jury trial requires that the state submit to a jury and prove beyond a reasonable doubt any fact (other than the fact of a prior conviction) that increases the penalty for a crime beyond the "prescribed statutory maximum."6 The Court in Blakely reaffirmed the holding of Apprendi and defined the "statutory maximum" not as the longest term the defendant can receive under any circumstances, but as "the maximum sentence a judge may impose solely on the basis of facts reflected in the jury verdict or admitted by the defendant."7 This definition was reiterated and clarified by the Court in United States v. Booker.8

{¶ 13} In the present case, the trial court found that the minimum sentence would demean the seriousness of the crimes and would not adequately protect the public under R.C. 2929.14(B). The trial court also found that Stafford's prior convictions for reckless driving, public intoxication, disorderly conduct, and license suspensions would likely lead to recidivism under R.C.2929.12(D). These findings led the trial court to impose a sentence above the minimum.

{¶ 14} While this appeal was pending, the Ohio Supreme Court ruled in State v. Foster that R.C. 2929.14(B) is unconstitutional because it permits a trial court to impose more than the minimum sentence only after the court has made findings of facts not proved to a jury beyond a reasonable doubt or admitted by the defendant.9

{¶ 15} The Ohio Supreme Court's remedy was to sever R.C.2929.14(B) as unconstitutional and to keep the remaining unaffected provisions of the sentencing statutes.

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Related

State v. Moore, C-070421 (8-15-2008)
2008 Ohio 4116 (Ohio Court of Appeals, 2008)
State v. Harris, Unpublished Decision (6-27-2006)
2006 Ohio 3520 (Ohio Court of Appeals, 2006)

Cite This Page — Counsel Stack

Bluebook (online)
2006 Ohio 1105, Counsel Stack Legal Research, https://law.counselstack.com/opinion/state-v-stafford-unpublished-decision-3-10-2006-ohioctapp-2006.