Defendant, while incarcerated for a parole violation, was arrested for a homicide he committed while on parole. After defendant completed his parole violation sentence, he remained in jail awaiting resolution of the homicide charges. He thereafter entered a guilty plea to the homicide charges. At sentencing, the trial court, following the holding in State v. Black, 153 N.J. 438 (1998), awarded defendant eighty-six days of jail credits for the period from the day he completed his parole violation sentence to the day of sentencing.
Defendant acknowledged that if Black applies, the trial court awarded the correct number of jail credits. He argued, however, that the holding in Black was effectively overruled by the Court in State v. Hernandez, 208 N.J. 24 (2011), and as a result, he is entitled to 1149 days of jail credits for the period from the day he was arrested on the homicide charge to the day of sentencing.
The court rejected defendant's argument, noting that Hernandez concerns circumstances unlike those in Black and that in Hernandez, the Court discussed its holding in Black at length without stating it was departing from that holding. In addition, the court reviewed a number of precedents cited by defendant applying the holding in Hernandez but found all inapposite to the circumstances addressed in Black. In the absence of a Supreme Court decision overruling its prior decision, the court declined to stray from the unequivocal holding in Black and affirmed the award of jail credits.