RE-2018-30

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The case presented involves Marty Wayne Green, who appealed the termination of his participation in the Seminole County Anna McBride Court Program after a series of violations related to his plea agreement and mental health treatment. Here's a summary of the court's findings and rulings: 1. **Background**: Green pleaded guilty to Domestic Assault and Battery by Strangulation and was sentenced to a suspended seven-year prison term. He entered the Anna McBride Court Program as part of his sentence. 2. **Violation Allegations**: The State filed a motion to revoke his suspended sentence, alleging that Green had failed to comply with program requirements, including not attending counseling sessions, testing positive for substances, and committing new offenses. 3. **Hearing Outcome**: After hearing the motion, District Judge George W. Butner terminated Green's participation in the mental health court program based on these violations and sentenced him to the full term of imprisonment. 4. **Propositions on Appeal**: - **Proposition I**: Green argued he should be credited for time served. The court ruled against this, clarifying that since he was not sentenced under the Oklahoma Community Sentencing Act, he had no entitlement to such credit. - **Proposition II**: This proposition did not challenge the validity of the termination order and was deemed improperly before the court. It did not affect the legality of the termination itself. - **Proposition III**: Green contended that the trial court abused its discretion by not seeking lesser sanctions before terminating his participation. The court found that the judge had discretion to terminate the program due to Green's repeated violations and potential danger to himself and others. 5. **Conclusion**: The court affirmed the termination of Green's participation in the Anna McBride Court Program, ruling that the judge acted within his discretion based on the facts presented and the violations of the program. The final decision upheld the termination, emphasizing the importance of compliance with mental health treatment programs and the discretion of judges in such cases. The ruling highlights the responsibility of participants in such programs to adhere to established agreements and the potential consequences of failing to comply.

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RE 2001-0911

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In OCCA case No. RE 2001-0911, the Appellant appealed his conviction for burglary and larceny of an automobile. In an unpublished decision, the court decided to reverse the order from the lower court regarding the Appellant's participation in Drug Court. One judge dissented. In this case, the Appellant, after pleading guilty to burglary and larceny, had his original sentence changed to a suspended sentence with probation requirements. He was required to attend drug counseling and submit to drug tests. However, the State later claimed that he did not complete the agreed program. During the hearing about this issue, there was confusion about whether it was a revocation of his suspended sentence or a termination from Drug Court. The evidence showed uncertainty about the Appellant's actual participation in Drug Court. The court noted that it could not determine if the lower court had abused its discretion due to the confusion during the hearings. Ultimately, since it was unclear if the Appellant was appropriately part of the Drug Court, the higher court reversed the lower court's decision and instructed to dismiss the case instead of continuing with the termination.

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