Presentence reports are part of the record from which it is proper to obtain facts to support a guilty plea. State v. Dixon, 111 Ariz. 92, 523 P.2d 789, 791 (1974); State v. Darling, 109 Ariz. 148, 151-52, 506 P.2d 1042 (1973). From the summary of the police officer's report contained in the presentence report, it is clear that the officer's report alleged facts sufficient to support all the elements of the crime of obstruction.
Rather, a guilty plea may be properly accepted even though the defendant does not admit to having committed the offense, "as long as the trial court is careful to ascertain that there is a factual basis for the plea." State v. Dixon, 111 Ariz. 92, 94, 523 P.2d 789, 791 (1974). Here, defense counsel, without objection, stated the factual basis for the guilty plea at the change of plea hearing as follows: "Mr. Deniz-Rodriguez recklessly discharged a shotgun, which struck and severely injured [the victim]."