New Jersey v. Bull

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In 1991 and 1992, defendant Rodney Bull was sentenced to two extended-term sentences, the second of which was imposed for crimes that occurred before defendant’s first sentencing took place. In 2012, the New Jersey Supreme Court held that the plain language of N.J.S.A.2C:44-5(b)(1) prohibited the imposition of a second discretionary extended-term sentence for an offense committed before entry of the first extended-term sentence. There is no question that defendant’s second extended-term sentence would have been illegal under “New Jersey v. Hudson,” (209 N.J.513 (2012)). The question this case presented for the Court’s review was whether “Hudson” should be applied retroactively. The Court found “Hudson” : “illuminated a longstanding rule of law rather than announce[d] a new one.” The Court affirmed the Appellate Division’s determination that “Hudson” applied retroactively. Defendant’s second extended-term sentence was remanded for re-sentencing. View "New Jersey v. Bull" on Justia Law