This summary was computer-generated without any editorial revision. It is not official, has not been checked for accuracy, and is NOT citable.
Facts
- On March 17, 2012, following a tip about erratic driving, police stopped Kenneth Tidey's vehicle. Upon discovering Tidey's revoked license, he was arrested. A search revealed a knife, ninety-seven small plastic baggies, a red straw with a burnt end, and a small plastic bag containing methamphetamine on Tidey's person. Additional searches found more methamphetamine in the vehicle. Tidey was charged and convicted for possession of methamphetamine with intent to distribute, possession of drug paraphernalia (for the baggies and the straw), and driving with a suspended license (paras 2-5).
Procedural History
- [Not applicable or not found]
Parties' Submissions
- Plaintiff-Appellee (State of New Mexico): Argued that the evidence supported the convictions for possession of methamphetamine with intent to distribute, two counts of possession of drug paraphernalia, and driving with a suspended license. The State also contended that the separate convictions for possession of drug paraphernalia did not violate double jeopardy principles (paras 6, 14, 18).
- Defendant-Appellant (Kenneth Tidey): Challenged the convictions on double jeopardy grounds, arguing that the two convictions for possession of drug paraphernalia were based on insufficiently distinct acts to warrant separate charges. Tidey also contended that the evidence was insufficient to support his convictions and that his right to a speedy trial was violated (paras 6-7, 20, 24, 27).
Legal Issues
- Whether the defendant's two convictions for possession of drug paraphernalia violate double jeopardy principles.
- Whether the defendant's convictions for possession of methamphetamine and possession of drug paraphernalia based on the small baggies violate double jeopardy.
- Whether the district court erred in denying the defendant's motion to suppress evidence for lack of reasonable suspicion.
- Whether the evidence was sufficient to support the defendant's convictions.
- Whether the defendant's right to a speedy trial was violated (paras 6-7, 20, 24, 27).
Disposition
- The conviction for possession of drug paraphernalia based on the ninety-seven small plastic baggies was vacated.
- The conviction for possession of drug paraphernalia based on the red straw with a burnt end was affirmed.
- All remaining convictions of the defendant were upheld (para 30).
Reasons
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GARCIA, Judge, SUTIN, Judge, and VIGIL, Judge, concurring: The court found that the two convictions for possession of drug paraphernalia violated double jeopardy principles due to insufficient indicia of distinctness between the acts of possessing the baggies and the straw. The court applied a unit-of-prosecution analysis and determined that the legislative intent did not support multiple punishments for the possession of different types of drug paraphernalia containers found simultaneously. The court also found that the evidence supported the remaining convictions and that the defendant's right to a speedy trial was not violated. The court distinguished this case from others by focusing on the specific facts and legislative intent related to drug paraphernalia statutes (paras 9-29).
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