IN THE SUPERIOR COURT OF THE STATE OF RIDGEWAY
STATE OF RIDGEWAY
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DOCKET NO. RSC-CM–2634
Plaintiff
v.
AFIK4333
Defendant
PLEA AGREEMENT
Pursuant to discussions between the State of Ridgeway, by and through its attorney,
Singhski, Ridgeway State Attorney, Ridgeway Department of Justice, and the defendant,
afik4333, by and through his attorney, Assistant Public Defender WithinCode, Ridgeway
Public Defender’s Office.
TERMS OF THE AGREEMENT
1. The Defendant, afik4333 agrees to plead guilty in the Superior Court of the State
of Ridgeway in the matter of the State of Ridgeway v. afik4333, RSC-CM-2634,
to: Counts One (3 R.C.C. § 09 - FIRST DEGREE MURDER), Two (3 R.C.C. § 11
- KIDNAPPING), Three (1 R.C.C. § 07 - RACKETEERING), Four (3 R.C.C. §
16 - AGGRAVATED EXTORTION), and Five (5 R.C.C. § 01 - UNLAWFUL
POSSESSION OF A FIREARM) of the Information.
2. The defendant understands that the penalties as listed in the charging document
brought forth against them hold a minimum penalty of 95 MINUTES
imprisonment.
3. The defendant understands that the ultimate determination of an appropriate
sentence will be up to the sentencing judge. The defendant then therefore
understands that the Court may impose a sentence that exceeds the minimum jail
time listed in the Ridgeway State Criminal Code. The defendant also understands
that the Court may impose a sentence beyond the terms of this agreement.
4. The defendant agrees that they are pleading to Counts One, Two, Three, Four and
Five because they are, in fact, guilty.
5. In return, the State of Ridgeway agrees to recommend a five (5) month bar from
filing for an expungement for the defendant instead of the ten (10) month bar from
filing for an expungement for reasons to be articulated at or near the time of
sentencing. However, the defendant also understands that the time barring them
from filing for an expungement subsequent to sentencing is up to the sentencing
judge, and that the court may impose a bar that exceeds the State’s
recommendation of five months.
6. In exchange for the concessions made by the State of Ridgeway in entering this
plea agreement, the defendant now knows they have, and voluntarily and expressly
waives, the right to appeal or collaterally attack their conviction, sentence, or any
other matter relating to this prosecution, whether such right to appeal or collateral
attack arises under any provision of law. Notwithstanding the foregoing, the
defendant reserves the right to (1) file an appeal or other collateral motion on the
grounds that he received ineffective assistance of counsel, and (2) appeal his
sentence if: (a) the State appeals from the sentence; or (c) the Superior Court
imposes an “upward variance” above what was expected.
7. It is further agreed by the undersigned parties that this plea agreement supersedes
all prior promises, representations, and statements of the parties; that this plea
agreement may be modified only in writing signed by all parties; and that all
promises, representations and statements made prior to or after this plea agreement
are null and void and have no effect whatsoever, unless they comport with this
agreement.
DEFENDANT’S STATEMENT
I, the Defendant, hereby agree that I have consulted with my attorney and fully
understand all rights with respect to the Information. I have read this Agreement and
carefully reviewed every part of it with my attorney. I understand this agreement and I
voluntarily agree to it.
/s/_____afik4333__________________________
afik4333
Defendant
/s/__WithinCode___________________
WithinCode
Assistant Public Defender
Prosecutions Section
R. Bar No. 17112
CONSENT OF THE STATE
The State, having gained the permissions as necessary by law and policy, does
hereunto enter into an agreement with the Defendant and pledges to fulfill the obligations
guaranteed through this Agreement. The signatories here declare that all submissions are
made in good faith to the Court and to all intensive purposes this shall serve as a de facto
good faith certificate concurrently as an Agreement.
/s/___________________________
Singhski
Ridgeway State Attorney
Prosecutorial Division
Department of Justice
R. Bar No. 25100