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Facts

  • During a traffic stop on November 2, 2017, the Defendant was found in possession of methamphetamine and a methamphetamine pipe. After waiving a preliminary hearing and arraignment, the Defendant was charged with possession of a controlled substance and drug paraphernalia. The case experienced multiple trial date resets from 2019 to 2021. The Defendant, facing other charges in a separate case, had a motion to dismiss on speedy trial grounds granted in the other case but encountered issues when attempting to file a similar motion in this case due to timing and procedural disputes (paras 2-6, 8-10).

Procedural History

  • [Not applicable or not found]

Parties' Submissions

  • Defendant-Appellant: Argued that the district court erred in summarily denying his motion to dismiss on speedy trial grounds due to late filing, asserting that the scheduling order did not set a deadline for such motions. The Defendant highlighted the similarity of his case to another where his speedy trial motion was granted and argued that his fundamental right to a speedy trial could be raised at any time before trial (paras 1, 10-11, 14).
  • Plaintiff-Appellee: Contended that the motion was "utterly untimely" and argued that differences in the case's procedural history did not allow for a simple adoption of the decision from the Defendant's other case. The State also emphasized that the Defendant could waive the right to file a motion to dismiss on speedy trial grounds by late filing in violation of a rule or order (paras 10, 15).

Legal Issues

  • Whether the district court erred in summarily denying the Defendant's motion to dismiss on speedy trial grounds due to late filing when no specific deadline for such a motion was set in the scheduling order (para 1).
  • Whether the district court had the authority to refuse to consider the Defendant's speedy trial motion filed on the eve of trial based solely on its timing (para 18).
  • Whether the district court's decision to summarily deny the Defendant's speedy trial motion without considering the factors of culpability, prejudice, and availability of lesser sanctions was an abuse of discretion (para 23).

Disposition

  • The Court of Appeals concluded that the district court erred as a matter of law by summarily denying the Defendant's motion to dismiss on speedy trial grounds due to late filing, reversed the district court's decision, and remanded the case for a hearing and decision on the Defendant's motion (paras 1, 25).

Reasons

  • The Court of Appeals, per Judge Yohalem, found that the district court misapprehended the law by summarily denying the Defendant's motion without considering the absence of a specific deadline for speedy trial motions in its scheduling order. The court emphasized that, under New Mexico law, a district court cannot summarily deny a constitutionally-based pretrial motion without first considering factors such as culpability, prejudice, and the availability of lesser sanctions. The appellate court disagreed with the district court's reliance on State v. Candelaria and clarified that the scheduling order's deadline did not apply to the Defendant's speedy trial motion since the right to a speedy trial had not accrued by that deadline. The appellate court also declined to overrule Candelaria or to consider the merits of the Defendant's speedy trial motion due to the inadequate development of facts at the district court level (paras 17-30).
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