This summary was computer-generated without any editorial revision. It is not official, has not been checked for accuracy, and is NOT citable.
Facts
- Jennifer Martinez petitioned the district court for an order of protection against Richard Montoya, asserting he was stalking her. The court issued an ex parte temporary order of protection and, after a hearing which Montoya did not attend, issued a one-year order of protection prohibiting Montoya from contacting Martinez. Martinez later filed a motion asserting Montoya violated this order by contacting her. At a hearing, Montoya admitted to sending texts after the order was issued, despite being informed of its existence (paras 2-4).
Procedural History
- District Court of San Miguel County: Issued an order of protection against Richard Montoya and later held him in contempt for violating this order.
Parties' Submissions
- Petitioner-Appellee: Argued that Respondent violated the order of protection by continuing to contact her, despite being directly informed of the order.
- Respondent-Appellant: Admitted to sending text messages after the order of protection was issued but testified he did not believe an actual order was in place. He also acknowledged being aware of attempts to serve him with the order (paras 3-4).
Legal Issues
- Whether the district court applied the correct standard of proof in holding Respondent in contempt.
- Whether there was sufficient evidence to support a finding of contempt.
- Whether Respondent's due process rights were violated due to lack of notice or knowledge of the order of protection.
- Whether the district court had personal jurisdiction over Respondent.
- Whether Respondent was provided with ineffective assistance of counsel (para 6).
Disposition
- The Court of Appeals reversed the district court’s order holding Respondent in contempt for violating an order of protection due to the application of the wrong standard of proof and remanded to the district court for entry of an order vacating the contempt conviction (para 1).
Reasons
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Per ATTREP, J. (HANISEE, J., and ZAMORA, J., concurring): The Court of Appeals found that the district court erred by applying a "preponderance of the evidence" standard instead of "beyond a reasonable doubt" in a criminal contempt case, violating the Respondent's due process rights. The Court noted that procedural rules for indirect criminal contempt proceedings have changed, requiring different procedures that were not followed in Respondent's case. Consequently, the Court reversed the contempt conviction and remanded for further proceedings consistent with the correct standard of proof and the new procedural rules (paras 5-11).
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