Justia North Dakota Supreme Court Opinion Summaries
Articles Posted in Constitutional Law
North Dakota v. Grant
Walter Grant, Jr. appealed his convictions after pleading guilty to gross sexual imposition, burglary, aggravated assault, and terrorizing. He argued the district court committed obvious error by failing to determine whether he was competent to proceed; he did not argue that the court erred by failing to hold a competency hearing or that he was incompetent when he pled guilty. Grant argued N.D.C.C. ch. 12.1-04 required the district court make a determination about competency if doubt existed about a defendant's fitness. Because the court ordered an examination and ordered he be detained at the state hospital for up to thirty days to complete the examination, Grant contended there was doubt about his fitness to proceed, no presumption he was competent, and the court was required to find by a preponderance of the evidence that he was competent and fit to proceed. To the extent Grant argued his constitutional due process rights were violated because the court failed to determine whether he was competent, the North Dakota Supreme Court concluded his argument failed: Grant claimed the district court implicitly found reasonable doubt about his competency because it ordered his examination and detention at the state hospital. "Although N.D.C.C. 12.1-04-06 authorizes a court to order a defendant's detention for purposes of an examination whenever there is reason to doubt the defendant's fitness to proceed ... a trial court's decision to grant a motion for a psychological examination alone was not sufficient to raise the required reasonable doubt about the defendant's competence for purposes of a due process violation, regardless of the effect granting the motion may have under state law." In this case, an examiner filed a report containing findings that Grant was competent to proceed and that there was no reason to believe Grant lacked the capacity to understand the proceedings against him or to assist in his defense. Grant did not object to the report or otherwise contest the examiner's findings. No clear statutory provisions or case law required the district court to make a determination about Grant's competency under these circumstances. The Court determined Grant did not show the trial court's failure to make a finding about his competency after the psychological evaluation report was filed was a clear deviation from statutory or case law. The district court did not commit obvious error by failing to fully adjudicate Grant's competency before accepting his guilty pleas. View "North Dakota v. Grant" on Justia Law
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Constitutional Law, Criminal Law
North Dakota v. Yost
Dale Yost appealed an order denying his motion to withdraw guilty pleas and amended criminal judgments. In October 2012, the State of North Dakota charged Yost with eleven counts of gross sexual imposition involving five minors. Yost argues the district court abused its discretion in denying withdrawal of his guilty pleas, did not advise him of his rights before his pleas, and erred in amending the amended judgments because the district court lacked jurisdiction. After review, the North Dakota Supreme Court affirmed the district court's denial of Yost's motion, vacated the district court's second amended judgment, and remanded for correction of the first amended judgment. View "North Dakota v. Yost" on Justia Law
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Constitutional Law, Criminal Law
North Dakota v. Vanberkom
Brian Vanberkom appealed after the district court found him guilty of reckless driving. Vanberkom argued that jeopardy attached when he was convicted of Care Required in violation of N.D.C.C. 39-09-01.1 and that the subsequent charge for reckless driving for the same conduct violated his constitutional rights. Because there was sufficient evidence of reckless driving and double jeopardy did not bar prosecution, the North Dakota Supreme Court affirmed. View "North Dakota v. Vanberkom" on Justia Law
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Constitutional Law, Criminal Law
North Dakota v. Ngale
Kenneth Ndumbe Ngale appealed after he conditionally pled guilty to actual physical control of a motor vehicle. He argued the district court erred in denying his motion to suppress because he was seized and arrested by a person who was not a licensed law enforcement officer and did not have authority to investigate and arrest. In rejecting Ngale's argument, the North Dakota Supreme Court found a reserve deputy, who provides services on a non-salaried basis and has full arrest authority, and is not required to be licensed to perform peace officer law enforcement duties. View "North Dakota v. Ngale" on Justia Law
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Constitutional Law, Criminal Law
North Dakota v. Jorgenson
James Jorgenson apealed a district court's order approving pretrial diversion and order of restitution. The State charged Jorgenson with two counts of theft of property for depriving Jackie Blikre of proceeds from the sale of calves. The district court approved a pretrial diversion agreement entered into by the parties ("Diversion Order"), suspending prosecution for sixty months after which the charges would be dismissed if Jorgenson met certain conditions. One such condition was that Jorgenson "shall pay restitution to be determined by the Court at a contested Restitution Hearing . . . ." After a restitution hearing, the district court ordered Jorgenson to pay restitution in the amount of $50,000. Although these orders were not appealable under N.D.C.C. 29-28-06, the North Dakota Supreme Court exercised its supervisory jurisdiction to review them. Because these orders did not comply with N.D.R.Crim.P. 32.2, they were vacated. View "North Dakota v. Jorgenson" on Justia Law
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Constitutional Law, Criminal Law
North Dakota v. Hunter
Ashley Hunter appealed after a jury found him guilty of two counts of murder and one count of arson. On the afternoon of June 22, 2015, Fargo police officers responded to a call about a death at a north Fargo location and found the body of Clarence Flowers. Flowers had been stabbed numerous times. Later that day, firefighters responded to a call about a fire at another north Fargo location and found the body of Samuel Traut. Traut had been killed by blunt force trauma to the head. The next morning Fargo police officers were dispatched to an address near the Traut murder scene in response to a call about a suspicious male. When officers arrived at the address, Hunter approached them and was arrested. Hunter was considered a person of interest in the Traut death, but the officers arrested him on a bench warrant for unrelated charges. Hunter was taken to the police station, where he was questioned by Fargo police. Hunter made several incriminating statements related to the Flowers and Traut murders. After the interview was complete, Hunter attempted suicide and was taken to the hospital. Hunter was charged with two counts of murder and one count of arson. Hunter argued on appeal: (1) the district court erred by denying his motion to suppress; (2) the court erred in allowing testimony about his statements to a medical professional; and (3) the judge should have recused himself. Finding no reversible error, the North Dakota Supreme Court affirmed. View "North Dakota v. Hunter" on Justia Law
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Constitutional Law, Criminal Law
North Dakota v. Beltran
Ronald Beltran appealed after a jury found him guilty of driving under the influence and driving under suspension. Beltran argued the evidence presented at trial was not sufficient to convict him of driving under the influence. Beltran also argued the district court abused its discretion by not allowing the introduction of medical records and denying his request to stipulate to his license status. Finding no reversible error, the North Dakota Supreme Court affirmed. View "North Dakota v. Beltran" on Justia Law
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Constitutional Law, Criminal Law
North Dakota v. Blue
James Blue II appealed convictions after entering Alford pleas to two counts of terrorizing, seven counts of reckless endangerment, two counts of simple assault on emergency medical personnel, three counts of contact by bodily fluids, unlawful possession of a firearm, interference with a telephone during an emergency call, and attempted murder. These charges arose from an assault of his then-girlfriend in 2016. After he entered his pleas, the State requested restitution in the amount of $2,716.13. The requested restitution represented the cost of disposing of the destroyed residence, reimbursement to Workers' Compensation (or the equivalent), and reimbursement to Medicaid for various medical expenses. The district court asked Blue if he wanted a restitution hearing or if he wanted to stipulate to the amount. Blue indicated he would stipulate to the restitution and the court found Blue was making a knowing and intelligent decision to stipulate to restitution. Blue did not argue on appeal for a reduction of the restitution; rather, he only argued the court needed to make a factual finding that he was able to pay the restitution. The North Dakota Supreme Court concluded the district court abused its discretion by failing to consider N.D.C.C. 12.1-32-08(1)(b) when ordering restitution, and reversed as to that issue. The Court affirmed Blue’s conviction in all other respects. View "North Dakota v. Blue" on Justia Law
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Constitutional Law, Criminal Law
City of Bismarck v. Schaffner
Paul Schaffner appealed a district court order finding him guilty of prostitution/solicitation under City of Bismarck, N.D., Code of Ordinances section 6-05-08(1)(b). Because there was sufficient evidence of prostitution/solicitation and because any potential argument concerning a conflict between the city ordinance and state law was waived, the North Dakota Supreme Court affirmed. View "City of Bismarck v. Schaffner" on Justia Law
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Constitutional Law, Criminal Law
Poochigian v. City of Grand Forks
C.T. Marhula appealed a judgment dismissing an action contesting a special election in the City of Grand Forks. Marhula argued Grand Forks lacked authority under its home rule charter and city ordinances to designate one voting location for the special election. The North Dakota Supreme Court concluded Marhula's post-election challenge to the special election was moot, and affirmed the judgment dismissing the action. View "Poochigian v. City of Grand Forks" on Justia Law
Posted in:
Constitutional Law, Election Law