This summary was computer-generated without any editorial revision. It is not official, has not been checked for accuracy, and is NOT citable.
Facts
- In 2010, the Defendant was convicted for burglary of a vehicle and other charges, sentenced to probation. In 2015, he was convicted for possession of marijuana and methamphetamine among other charges. The State sought to enhance his 2015 sentence under the Habitual Offender Act, citing his 2010 burglary conviction and another unrelated felony conviction. The Defendant challenged the use of his 2010 conviction for enhancement, arguing it should be considered a misdemeanor under a Supreme Court ruling (Muqqddin) and thus not applicable for sentence enhancement (paras 2-5).
Procedural History
- District Court, January 2016: Denied Defendant's Rule 5-803 petition challenging his 2010 burglary conviction based on Muqqddin, which he argued should apply retroactively (para 3).
- District Court, August 15, 2019: Entered an amended judgment and sentence in the 2015 case, enhancing Defendant's sentence under the Habitual Offender Act based on his 2010 and another unrelated felony conviction (para 6).
Parties' Submissions
- Defendant: Argued that the district court erred by not applying Muqqddin retroactively to his 2010 burglary conviction, which if applied, would render the conviction a misdemeanor and ineligible for sentence enhancement under the Habitual Offender Act. Also contended that the district court lacked jurisdiction for resentencing, his sentencing was delayed impermissibly, his speedy trial rights were violated, the motion to suppress evidence was wrongly denied, the presentence confinement credit was incorrectly awarded, and the State improperly questioned him during cross-examination (paras 7-8, 17, 23, 26, 30, 32).
- State: Argued in favor of the use of Defendant's prior felony burglary conviction for sentence enhancement under the Habitual Offender Act and opposed Defendant's claims regarding jurisdiction, sentencing delay, speedy trial violation, suppression of evidence, presentence confinement credit, and cross-examination.
Legal Issues
- Whether the Supreme Court's ruling in Muqqddin applies retroactively to bar the use of Defendant's prior felony burglary conviction for sentence enhancement under the Habitual Offender Act (para 1).
- Whether the district court lacked jurisdiction to resentence the Defendant as a habitual offender, the sentencing was impermissibly delayed, the Defendant's rights to a speedy trial were violated, the motion to suppress evidence was correctly denied, the presentence confinement credit was correctly awarded, and the State's cross-examination was proper (paras 7, 17, 23, 26, 30, 32).
Disposition
- The court affirmed the district court's denial of Defendant's motion to dismiss on speedy trial grounds, its denial of Defendant's motion to suppress, and its determination of Defendant's presentence confinement.
- The court reversed the district court's denial of Defendant's Rule 5-803 petition and vacated Defendant's burglary conviction as well as his habitual offender enhancement associated with his 2015 case (para 33).
Reasons
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The court found that the Muqqddin ruling, which clarified the scope of burglary under New Mexico law, announced a new rule that applies retroactively. This meant that Defendant's 2010 burglary conviction, based on siphoning gas, should not have been used to enhance his sentence under the Habitual Offender Act. The court also addressed Defendant's other claims, finding no violation of his rights to a speedy trial or sentencing, no error in denying his motion to suppress evidence, and correctly awarded presentence confinement credit. The court declined to review Defendant's unpreserved argument regarding cross-examination by the State (paras 8-32).
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