87 N.Y.2d 430 (1996)
A person is not required to retreat before using deadly physical force in self-defense if they cannot do so with complete safety.
Summary
Y.K., a 13-year-old girl, was attacked by a group of 10-15 youths. During the attack, while pinned to the ground and being beaten, she stabbed her assailant with a knife. The Family Court found her to be a juvenile delinquent, rejecting her justification defense because she didn’t retreat. The Appellate Division reversed. The New York Court of Appeals affirmed the Appellate Division, holding that Y.K. was not required to retreat because she could not do so safely under the circumstances. The court emphasized that the duty to retreat only arises when retreat can be accomplished with complete safety.
Facts
Y.K., a 13-year-old girl, was walking home with friends when a group of 10-15 other youths attacked her. Initially, she was hit from behind. She found a knife on the sidewalk and kept it in her jacket. Later, she was attacked again, thrown to the ground, and beaten by multiple members of the group. While pinned down, she used the knife to stab the primary assailant in the head and back, ending the fight only when the police arrived.
Procedural History
The Family Court found Y.K. to be a juvenile delinquent, rejecting her justification defense. The Appellate Division reversed the Family Court’s order, denying the petition and dismissing the proceeding. Two justices dissented, leading to an appeal to the New York Court of Appeals.
Issue(s)
Whether Y.K. was justified in using deadly physical force, specifically whether she had a duty to retreat before using such force, given the circumstances of the attack.
Holding
No, because Y.K. could not retreat with complete safety under the circumstances of the attack. The duty to retreat does not apply when a person cannot retreat safely.
Court’s Reasoning
The court applied Penal Law § 35.15, which governs the use of force in self-defense. The statute imposes a two-part test: a subjective component (whether the defendant believed force was necessary) and an objective component (whether a reasonable person would have held that belief). When deadly physical force is used, there is a duty to retreat if it can be done safely. Quoting People v Goetz, the court reiterated that the defendant’s reactions must be those of a reasonable person similarly confronted.
The court found that Y.K. was initially justified in using physical force because she was the victim of an unprovoked attack. The critical point, however, was the escalation to deadly physical force. The court reasoned that because Y.K. was pinned on the ground, surrounded by attackers, and unable to retreat safely, she was justified in using deadly physical force. The court emphasized that the duty to retreat arises only when retreat can be accomplished with complete safety.
The court stated, “Manifestly, she was unable to retreat safely under those circumstances and her use of deadly physical force to defend herself was justified.” The holding clarifies that the inability to retreat safely negates the duty to retreat before using deadly force in self-defense, emphasizing the importance of the factual context in justification defenses.