Indiana's Supreme Court Rules That Delays in Proceedings Not Specifically Attributable to a Defendant Count Toward the Time Limit for Dismissal of Charges When the Question of Competency Is Raised
In Curtis v. State, 948 N.E.2d 1143 (Ind. 2011), the Supreme Court of Indiana clarified that a speedy-trial claim under Indiana Criminal Rule 4(C) and a speedy-trial claim under the federal or state constitution must be asserted separately and distinctly, and that delays not attributable to the defendant are credited toward the one-year time limit established by the former.
Facts of the Case
In June 2007, Alva Curtis was arrested and charged with residential entry, battery, and criminal mischief. Mr. Curtis was born with a developmental disability and had a fifth or sixth grade education. Although able to dress himself and write his name, Mr. Curtis was unable to read and drew disability payments. The trial court ordered a competency evaluation of Mr. Curtis in February 2009, following several motions filed by the state and Mr. Curtis. Two doctors evaluated Mr. Curtis, with both opining that he was incompetent to proceed and had dementia. One examiner opined that Mr. Curtis was not restorable, while the other noted that it was “unlikely.”
Mr. Curtis subsequently filed a motion to dismiss the case in May 2009, arguing that the charges he faced violated his due process right to fundamental fairness, as he was incompetent and unlikely to be restorable. The state argued that this motion was “premature,” that there had been no finding that he was unlikely to regain competency, that he had been incarcerated for only a brief time, and that there was “sufficient public interest” in proceeding with the charges.
The trial court then denied Mr. Curtis' motion to dismiss but noted that he would never become competent. Mr. Curtis next filed a motion to dismiss and be released under Indiana Criminal Rule 4(C), which “provides that a defendant may not be held to answer a criminal charge for greater than one year unless the delay is caused by the defendant, emergency, or court congestion” (Curtis, p 1148). The trial court denied this motion and again noted that he would never become competent. Mr. Curtis filed an interlocutory appeal that was granted; his appellate brief raised concern regarding his constitutional speedy-trial, due process and Indiana Criminal Rule 4(C) claims. The court of appeals found that his right to due process had been violated and reversed and remanded, with instructions to dismiss the charges. The case was transferred to the Indiana Supreme Court.
Ruling and Reasoning
The court addressed three points in its reasoning: the right to a speedy trial as guaranteed by the United States and Indiana Constitutions, due process, and Indiana Criminal Rule 4(C).
Regarding Mr. Curtis' claim that his right to a speedy trial had been violated, the court noted that Mr. Curtis raised it for the first time on appeal and therefore had forfeited his constitutional speedy-trial claim. The court ruled that under Indiana Appellate Rule 14(B), claims that were properly raised in the trial court are available on interlocutory appeal and that the converse was also true. Claims that were not properly presented to the trial court are unavailable on interlocutory appeal.
The Indiana Supreme Court noted that the court of appeals had agreed with Mr. Curtis' argument that the charges against him violated his Fourteenth Amendment rights to fundamental fairness and due process. The court described its prior ruling in State v. Davis, 898 N.E.2d 281 (Ind. 2008), in which the court identified violations of due process rights including that Charlene Davis' pretrial confinement had extended the maximum sentence a trial court could impose and the state had presented no argument that its interests outweighed Ms. Davis' liberty interest. In Mr. Curtis' case, the court ruled that there was no due process violation, as he had not been involuntarily committed and because there had been no finding that he would never be restored to competency.
The court addressed Mr. Curtis' claim that his rights under Indiana Criminal Rule 4(C) had been violated by analyzing the timeline involved in the case to parse out responsibility for the delays in the case's progress. The court noted that 799 days passed from the date Mr. Curtis was charged until he filed the motion to dismiss under Indiana Criminal Rule 4(C). The question at hand involved how many of those days were attributable to him and how many should be charged to the state. The state argued that 571 of those days should have been charged to him under the notion that delays subsequent to the state's initial motion for a competency evaluation were due to his actions. The court disagreed, noting that in regard to the state's motion for Mr. Curtis to receive a competency evaluation, the trial court initially declined to rule on the motion without explanation and then issued a continuance of its own accord. The court noted that while further delays in the proceedings were indeed attributable to him, the 365-day limit imposed under Indiana Criminal Rule 4(C) had already been reached.
The court ruled that Mr. Curtis was entitled to dismissal under Indiana Criminal Rule 4(C). The judgment of the trial court was reversed and remanded with instructions to drop his charges.
Discussion
In its landmark decision Jackson v. Indiana, 406 U.S. 715 (1972), the U.S. Supreme Court held that a state violated due process in involuntarily committing a criminal defendant for an indefinite period solely on the basis of being permanently incompetent to stand trial. The Indiana Supreme Court subsequently ruled, in Indiana v. Davis, that it was a violation of the due process clause of the 14th Amendment to hold criminal charges over the head of an incompetent defendant when it was apparent that the defendant would never be able to stand trial.
Both Jackson and Davis address the balance of the state's interest with that of the defendant's liberty interests. While Jackson addressed the question of indefinite commitment for an individual permanently incompetent to stand trial, Davis clarified whether the state could continue to hold criminal charges over the head of a defendant who is likely to be permanently incompetent to proceed.
In Curtis v. Indiana, the defendant was not found permanently incompetent to proceed. However, the court ruled that there are still limits regarding the state's holding criminal charges over such a defendant. A speedy-trial provision, outlined in Indiana Criminal Rule 4(C), served as grounds for dismissal of charges, even absent a finding regarding the defendant's competence. This case is important in further protecting the rights of individuals in proceedings where competency is the question.
Footnotes
Disclosures of financial or other potential conflicts of interest: None.
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