People v. LanePeople v. Lane
Defendant, who was 17 years old at the time of the offenses, argues that County Court abused its discretion in denying him youthful offender status. Inasmuch as he was convicted of crimes that included rape in the first degree and criminal sexual act in the first degree, and was the sole perpetrator of those crimes, he “was required to demonstrate ‘mitigating circumstances that bear directly upon the manner in which the crime was committed’ in order to be eligible for” that status (People v Williams, 155 AD3d 1260, 1260 [2017], lv denied 30 NY3d 1121 [2018], quoting
Defendant also argues that the resentence was harsh and excessive, an issue that remains live given that he is still serving the postrelease supervision component of the sentence, but that issue is without merit (see e.g. People v Smith, 162 AD3d 1408, 1409 n 2 [2018]). The resentence was far below the maximum allowed and, in view of the
Egan Jr., J.P., Lynch, Clark, Pritzker and Colangelo, JJ., concur.
ORDERED that the judgments are affirmed.