Illinois Appellate Court
Criminal Court
Sentencing
Defendant, then age 19, pled guilty to drug offenses. Court's sentences were within relevant sentencing ranges and within court's discretion; court properly considered poor rehabilitative potential and need for deterrence as outweighing mitigating factors. Court, and not circuit clerk, imposed public-defender fee, and ordered fee at sentencing hearing. Court indicated its intent to order reimbursement within applicable time frame, and thus remand was appropriate. (APPLETON and POPE, concurring.)