[2020] KEHC 7531 (KLR)

[2020] KEHC 7531 (KLR)

The court held that following the Supreme Court's decision in Muruatetu, the mandatory death sentence for robbery with violence is unconstitutional. The court is therefore required to exercise discretion in resentencing, taking into account both mitigating and aggravating factors as outlined in the Sentencing Policy...

Source-derived case information.

Citation
[2020] KEHC 7531 (KLR)
Parties
Petitioner: Martin Mwangi Mutei; Respondent: Republic
Court
High Court
Court Station
High Court at Kitale
Jurisdiction
Kenya
Case Number
Criminal Petition 5 of 2019
Procedural Posture
Criminal Petition / Resentencing Following Supreme Court Decision on Mandatory Death Penalty
Outcome
petition allowed in part; petitioner resentenced
Judges
HK Chemitei
Legal Topics
Robbery With Violence, Mandatory Sentencing, Resentencing Guidelines, Mitigating Factors, Death Penalty, Constitutional Rights
Source Language
en
Criminal Law Robbery With Violence Mandatory Sentencing Resentencing Guidelines Mitigating Factors Death Penalty Constitutional Rights

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Parties

Martin Mwangi Mutei

Petitioner

Republic

Respondent

Procedural Posture

Criminal Petition / Resentencing Following Supreme Court Decision on Mandatory Death Penalty

  1. 1 Whether the mandatory death sentence for robbery with violence under Section 296(2) of the Penal Code is unconstitutional following the Supreme Court decision in Muruatetu.
  2. 2 What is the appropriate sentence for the petitioner in light of the unconstitutionality of the mandatory death penalty.

Ratio Decidendi

The court held that following the Supreme Court's decision in Muruatetu, the mandatory death sentence for robbery with violence is unconstitutional. The court is therefore required to exercise discretion in resentencing, taking into account both mitigating and aggravating factors as outlined in the Sentencing Policy Guidelines and the Muruatetu decision. The court reviewed comparable cases and found that sentences for robbery with violence post-Muruatetu have generally ranged from 15 to 20 years. Considering the circumstances of the case and the principles of sentencing, the court determined that a sentence of 15 years imprisonment from the date of conviction was appropriate for the...

Court Disposition

petition allowed in part; petitioner resentenced

Orders

  • The petitioner is resentenced to 15 years imprisonment from the date of conviction by the trial court, 8/2/2017.