State v. Bridges, 133 N.J. 447, 628 A.2d 270 (Supreme Court of New Jersey 1993)
State v. Bridges is a leading New Jersey Supreme Court decision on accomplice liability that crystallizes the natural and probable consequences doctrine.
Can a defendant be convicted of murder as an accomplice when he intended only to facilitate a lesser offense (e.g., intimidation or assault), but his confederates commit a homicide, if the killing was a reasonably foreseeable and natural consequence of the planned criminal conduct?
Under New Jersey accomplice liability (N.J.S.A. 2C:2-6), a person is an accomplice if, with the purpose of promoting or facilitating the commission of an offense, he aids, agrees, or attempts to aid another person in planning or committing that offense. An accomplice may also be held liable for additional crimes committed by the principal if those crimes are the natural and probable (i.e., reasonably foreseeable) consequences of the target offense the accomplice purposely facilitated. The State need not prove that the accomplice shared the purpose to commit the additional crime; it must prove (1) the accomplice had the purpose to promote or facilitate the target offense, and (2) the additional offense was a reasonably foreseeable outgrowth of the planned conduct.
Yes. The court held that an accomplice who purposely aids a target offense may be held liable for a homicide committed by confederates if the killing was a reasonably foreseeable, natural and probable consequence of the criminal enterprise. On the facts, the death of a bystander in a crowded party after the defendant returned with armed companions to intimidate others was reasonably foreseeable; the murder conviction was sustained.
Bridges is a foundational New Jersey case on accomplice liability, frequently cited in criminal law courses to illustrate the natural and probable consequences doctrine. It shows that accomplice liability extends beyond the exact offense the defendant intended to aid when the escalation is reasonably foreseeable, particularly in group confrontations involving firearms. For students, the case clarifies how courts balance culpability (purpose for a target offense) with fair attribution of risk (foreseeability of collateral crimes), and it frames debates about the scope of accomplice liability compared to the Model Penal Code's generally narrower approach.