[2020] KEHC 717 (KLR)

[2020] KEHC 717 (KLR)

The court found that, following the Supreme Court's decision in Muruatetu, the mandatory death sentence for robbery with violence is unconstitutional, granting the court discretion to resentence. In exercising this discretion, the court considered both aggravating factors (the violent nature of the offence, injury...

Source-derived case information.

Citation
[2020] KEHC 717 (KLR)
Parties
Appellant: Samson Alex Mchesi; Respondent: Director of Public Prosecutions
Court
High Court
Court Station
High Court at Mombasa
Jurisdiction
Kenya
Case Number
Petition 126 of 2019
Procedural Posture
Criminal Appeal / Resentencing After Supreme Court Decision on Mandatory Death Sentence
Outcome
Death sentence lifted; petitioner resentenced to time served and released unless otherwise lawfully held.
Judges
DO Ogembo
Legal Topics
Resentencing Guidelines, Mandatory Death Sentence, Robbery With Violence, Mitigating and Aggravating Factors, Constitutional Rights, Prisoner Rehabilitation
Source Language
en
Criminal Law Constitutional Law Resentencing Guidelines Mandatory Death Sentence Robbery With Violence Mitigating and Aggravating Factors Constitutional Rights Prisoner Rehabilitation

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Parties

Samson Alex Mchesi

Appellant

Director of Public Prosecutions

Respondent

Procedural Posture

Criminal Appeal / Resentencing After Supreme Court Decision on Mandatory Death Sentence

  1. 1 Whether the mandatory death sentence for robbery with violence is unconstitutional following the Supreme Court decision in Muruatetu.
  2. 2 What is the appropriate sentence for the petitioner considering aggravating and mitigating factors, including his health, conduct, and time served.

Ratio Decidendi

The court found that, following the Supreme Court's decision in Muruatetu, the mandatory death sentence for robbery with violence is unconstitutional, granting the court discretion to resentence. In exercising this discretion, the court considered both aggravating factors (the violent nature of the offence, injury to the victim, psychological trauma) and mitigating factors (the petitioner's remorse, good conduct, rehabilitation, health issues, and leadership among inmates with disabilities). The court determined that the fourteen years already served constituted adequate punishment, especially in light of the petitioner's demonstrated reform, health status, and the need to decongest...

Court Disposition

Death sentence lifted; petitioner resentenced to time served and released unless otherwise lawfully held.

Orders

  • The death sentence imposed on the petitioner is lifted.
  • The petitioner is sentenced to a term equivalent to time already served.