Commonwealth v. Thompson

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The Supreme Court affirmed the decision of the court of appeals reversing the circuit court’s denial of Defendant’s Ky. R. Crim. P. 11.42 motion without a hearing, holding that counsel’s failure to advise a client of the sex offender registration requirement constitutes deficient performance.Defendant pled guilty to criminal attempt to commit kidnapping of a minor victim and other offenses. After he was released from prison, Defendant learned that, as a consequence of his guilty plea, he was required to register under Ky. Rev. Stat. 17.510 as a person who had committed sex crimes or crimes against minors. Defendant filed a motion to vacate, set aside, or correct sentence pursuant to Rule 11.42, claiming that counsel had failed to discuss the sex offender registration requirement with him. The circuit court denied the motion without a hearing, ruling that counsel’s failure to advise his client about registration did not warrant relief under Rule 11.42. The court of appeals reversed. The Supreme Court affirmed, holding that a defendant has a right to effective assistance of counsel concerning the requirement to register as a sex offender. View "Commonwealth v. Thompson" on Justia Law