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 was accused of killing his girlfriend by stabbing her multiple times. He was found guilty of second-degree murder and tampering with evidence. Questions of the Defendant's competency to stand trial arose, leading to his isolation in custody due to violent behavior towards staff and inmates. A motion to dismiss for violation of his speedy trial rights was filed but denied by the district court. The Court of Appeals reversed the convictions, citing a violation of speedy trial rights, which led to the Supreme Court granting certiorari.
Procedural History
- State v. Gurule, A-1-CA-35724, mem. op. ¶¶ 1, 33 (N.M. Ct. App. July 31, 2019) (nonprecedential): The Court of Appeals reversed Defendant’s convictions, finding a violation of his speedy trial rights.
- Original proceeding on certiorari to the Supreme Court of the State of New Mexico.
Parties' Submissions
- Plaintiff-Petitioner (State): Argued that the Defendant's competency evaluations and behavior in custody contributed to trial delays, which should not count against the State in a speedy trial analysis.
- Defendant-Respondent: Contended that the delays in trial, including those for competency evaluations, violated his right to a speedy trial.
Legal Issues
- Whether the Defendant's right to a speedy trial was violated due to the length of delay, reasons for the delay, and the prejudice to the Defendant.
Disposition
- The Supreme Court reversed the Court of Appeals, affirmed the district court’s denial of Defendant’s motion to dismiss, and remanded to the Court of Appeals for further consideration of Defendant’s arguments on appeal.
Reasons
-
The Supreme Court, per Thomson, J., with Hunter, J., and Sanchez Villalobos, J., concurring, and Bacon, C.J., dissenting with Vigil, J., concurring in dissent, found that:The delays attributable to determining the Defendant's competence to stand trial were for the Defendant's benefit and should be excluded from the speedy trial analysis (paras 25-27).The Defendant's behavior in custody, which necessitated his segregation, was considered in evaluating the prejudice suffered due to delay (paras 43-49).The Court disagreed with the Court of Appeals' allocation of the reasons for delay heavily against the State and found significant portions of the delay attributable to the Defendant or weighed neutrally (Appendix).The dissent argued that the majority's analysis upended established speedy trial jurisprudence and improperly weighed delays related to competency evaluations against the Defendant, also contending that the Defendant suffered extreme prejudice due to the length of pretrial incarceration (Dissent paras 58-99).
You are being directed to the most recent version of the statute which may not be the version considered at the time of the judgment.