People v. Gray

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Gray and Carthon spent an evening drinking. The two had been friends for 20 years and had dated each other exclusively for two years, 15 years ago. The two regularly spent the night together and, on the night in question, had sex. In the morning, Gray began strangling Carthon and stabbed her with a knife. Gray was convicted of aggravated domestic battery (720 ILCS 5/12-3.3), after arguing that he wounded Carthon in self-defense. The appellate court held that the statutory definition of “family or household members,” as including “persons who have or have had a dating or engagement relationship. ... For purposes of this Article, neither a casual acquaintanceship nor ordinary fraternization between individuals in business or social contexts shall be deemed to constitute a dating relationship,” violated substantive due process as applied to defendant. The Illinois Supreme Court reversed the appellate court, first rejecting Gray’s challenge to the sufficiency of the evidence. The court applied the rational basis test, reasoning that the statutory definition does not deprive Gray of a fundamental right. The absence of a time limit on former dating relationships, as applied to the instant case, was reasonable and rationally related to the statutory purpose of curbing domestic violence. View "People v. Gray" on Justia Law