People v. Jaffe — Study Outline

I. Case Overview

  • Case: People v. Jaffe
  • Citation: People v. Jaffe, 185 N.Y. 497, 78 N.E. 169 (N.Y. 1906)
  • Category: Criminal Law

II. Facts

The defendant, Jaffe, arranged to purchase bolts of cloth that he believed had been stolen. In actuality, although the goods had been previously taken, they had been recovered by the true owner and were under the control of law enforcement before the purported sale to Jaffe. Working with the police, an intermediary delivered the goods to Jaffe while representing that they were stolen. Jaffe accepted the goods and paid for them, believing he was receiving stolen property. He was arrested and charged—not with the completed offense of receiving stolen property, since the goods were no longer stolen—but with attempting to receive stolen property, knowing it to have been stolen. He was convicted at trial, and the conviction was affirmed by the intermediate appellate court. The New York Court of Appeals granted review.

III. Issue

Can a defendant be convicted of an attempt to receive stolen property when, at the time of receipt, the property is not in fact stolen, though the defendant believes it is?

IV. Rule

Legal impossibility is a defense to attempt. To constitute a criminal attempt, the defendant must intend to commit a crime and perform an act that would constitute the crime if the circumstances were as they actually are. If, even if fully carried out exactly as the defendant intends, the act would not be a crime because an essential legal element is missing (e.g., the property is not in fact "stolen"), there is no attempt liability.

V. Holding

No. The conviction for attempt to receive stolen property was reversed. Because the goods were not in fact stolen at the time of receipt, receiving them would not have been a crime even if the defendant completed his intended conduct; thus, legal impossibility barred attempt liability.

VI. Reasoning

The court began with the statutory offense of receiving stolen property, which requires both the receipt of property and that the property be "stolen"—an objective legal status—along with the receiver's knowledge of that status. The statute presupposes the property is in fact stolen; mere belief that it is stolen does not satisfy the legal element. When the owner (or law enforcement on the owner's behalf) regains control of the property, it ceases to be "stolen," and receipt of it cannot violate the statute. Turning to attempt, the court emphasized that an attempt requires an intent to commit a crime plus conduct tending to its commission that would culminate in a crime if not interrupted. Here, even if Jaffe completed everything he set out to do—receive the goods believing them to be stolen—his act would not have amounted to a crime because the goods were not stolen in law. The barrier to conviction was not a factual miscalculation (such as an empty pocket or a broken weapon), but an absence of a necessary legal element. The court refused to allow the defendant's culpable mental state to convert non-criminal conduct into a crime; courts cannot create crimes by punishing morally blameworthy intentions unmoored from legally proscribed acts. Accordingly, because the intended conduct, if completed under the actual circumstances, would not constitute the offense, legal impossibility precluded an attempt conviction.

VII. Significance

People v. Jaffe is the classic statement that legal impossibility is a complete defense to attempt: if the act, even if consummated, would not be criminal due to the legal status of attendant circumstances, there is no attempt. The case is frequently contrasted with factual impossibility (e.g., trying to pick an empty pocket), which generally is not a defense. Jaffe has been criticized and limited; many jurisdictions, influenced by the Model Penal Code, would impose attempt liability so long as the defendant would have committed a crime if the facts were as he believed them to be. In New York, later statutory reform and People v. Dlugash shifted the law toward that MPC approach, effectively abrogating Jaffe's rule. For law students, Jaffe provides a clear framework for analyzing impossibility issues and a historical baseline against which modern reforms are measured.

VIII. Conclusion

People v. Jaffe crystallizes the traditional common-law boundary of attempt liability: culpable intent alone does not create a crime where the objective legal elements are absent. The decision underscores that legal impossibility—where the intended act, even if fully consummated, would not be criminal—precludes conviction for attempt.

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