Petitioner appeals the denial of his petition for post-conviction relief, contending that his conviction in the circuit court for theft is void, because he was 17 years old when he was indicted and had not been remanded to adult court and the juvenile court, therefore, had exclusive jurisdiction in this case. We vacate the conviction.
Petitioner was born November 15, 1960. He was indicted for theft, arrested on the indictment and released in March, 1978, at a time when he was still 17 years old. There had been no juvenile court proceeding and no remand on the charge. He immediately left the state. A charge of failure to appear was brought before he was again arrested on November 3, 1978. He was arraigned on November 6, and defense counsel was appointed. Defendant’s counsel learned that defendant was 17 years old and so informed the district attorney. However, both counsel were of the opinion that, because defendant was within a few days of his 18th birthday, a transfer of the case to the juvenile court was unnecessary. After negotiations between defense counsel and the district attorney, a plea bargain was reached whereby defendant agreed to plead guilty to the theft charge, the failure to appear charge would be dismissed and probation would be recommended. Defendant’s guilty plea was entered on November 21, 1978, six days after his 18th birthday.
Defendant contends that, because he was 17 years when indicted, the juvenile court had exclusive original jurisdiction in the case. He relies on ORS 419.476(1), which provides:
“The juvenile court has exclusive original jurisdiction in any case involving a person who is under 18 years of age and:
“(a) Who has committed an act which is a violation, or which if done by an adult would constitute a violation, of a law or ordinance of the United States or a state, county or city.
The state contends that under
Hadlock v. Cupp,
This court has held that the jurisdiction of the juvenile court does not depend on the defendant’s age at the time the criminal act was committed, but his age at the time judicial proceedings were initiated.
State v. Richmond,
It is not important in this case whether the event triggering juvenile court jurisdiction is the initiation of judicial proceedings or the taking of the child into custody; both of those events occurred while this defendant was 17 *446 years old. The juvenile court had exclusive original jurisdiction of the matter. Absent a remand from the juvenile court, the circuit court lacked jurisdiction.
Reversed and remanded with instructions to vacate conviction. 1
Notes
In
Scurlock,
the trial court had dismissed the indictment. The Supreme Court held that there was no statutory authority for dismissal and that the proper remedy was remand to the juvenile court.
