PEOPLE v. MAESTAS
There was insufficient evidence as a matter of law for trial court to find that defendant's prior second-degree burglary convictions were for serious felonies for purposes of three strikes sentencing, since second-degree burglary necessarily means a nonresidential burglary, and residential burglary is the only form of burglary that constitutes a serious felony for three-strikes purposes. Convictions Affirmed. Sentencing vacated and remanded.
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