People v. RahimPeople v. Rahim
Waiving his right to appeal, defendant pleaded guilty to possessing a loaded .40 caliber semi-automatic pistol with the understanding that his sentence would not exceed 3 1/2 years in prison and County Court would consider granting youthful offender status. Ultimately, County Court declined to
Defendant contends that County Court’s determination to deny youthful offender status was improperly based upon the disputed allegations by the prosecutor at sentencing that, when the pistol was seized by the police, there was a shell in its chamber and the weapon’s safety was off. Defendant argues that County Court should have held a hearing to resolve the dispute prior to determining his youthful offender status. This issue is unpreserved, however, due to defendant’s failure to request a hearing at the time of sentencing (see
Finally, defendant’s request that we exercise our interest of justice jurisdiction to grant youthful offender status is barred by his valid appeal waiver (see People v Cullen, 62 AD3d 1155, 1157 [2009], lv denied 13 NY3d 795 [2009]; People v Rosseter, 62 AD3d 1093, 1095 [2009]; People v Baker, 6 AD3d 751 [2004]).
Spain, J.P., Kavanagh, McCarthy and Egan Jr., JJ., concur.
Ordered that the judgment is affirmed.