This summary was computer-generated without any editorial revision. It is not official, has not been checked for accuracy, and is NOT citable.
Facts
- The Defendant, Elizabeth Daisy Kupfer, was indicted on fifty counts related to the disbursement of federally granted election funds by the Office of the Secretary of State. The charges included fraud, embezzlement, money laundering, tax evasion, and conspiracy. A co-defendant in the case was the then Secretary of State, Rebecca Vigil-Giron. The district court dismissed the case due to a violation of the Defendant's constitutional right to a speedy trial (paras 1-2).
Procedural History
- State v. Vigil-Giron, 2014-NMCA-069, 327 P.3d 1129: The district court’s dismissal of the case on speedy trial grounds was affirmed.
Parties' Submissions
- Plaintiff-Appellant (State): Argued that the district court erred in concluding the Defendant suffered prejudice from the delay, specifically citing health problems and the death of a prospective witness, Hoyt Clifton. Additionally, the State contested the attribution of twenty-eight months of delay to the State (para 3).
- Defendant-Appellee (Kupfer): Argued that her constitutional right to a speedy trial was violated due to the extensive delay, which resulted in prejudice including health issues and the impairment of her defense due to the death of a key witness.
Legal Issues
- Whether the district court erred in concluding that the Defendant suffered prejudice as a result of the delay in bringing the case to trial.
- Whether the attribution of twenty-eight months of delay to the State was erroneous.
Disposition
- The district court's order of dismissal for a violation of the Defendant's right to a speedy trial was affirmed (para 4).
Reasons
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The Court of Appeals, per Judge Jonathan B. Sutin, with Judges Michael D. Bustamante and Michael E. Vigil concurring, found that the district court's findings regarding the prejudice suffered by the Defendant due to the delay were supported by substantial evidence. This included the death of a prospective witness, Mr. Clifton, and health problems experienced by the Defendant. The Court also concluded that the State's argument regarding the attribution of fault for the delay provided no basis for reversal. The Court applied the four-factor test for determining a violation of the right to a speedy trial, which includes the length of delay, the reasons for the delay, the defendant's assertion of her right, and the actual prejudice to the defendant. The Court found that all factors weighed against the State, justifying the dismissal of the case on speedy trial grounds (paras 5-27).
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