Oliphant v. State
This text of 557 S.W.3d 541 (Oliphant v. State) is published on Counsel Stack Legal Research, covering Missouri Court of Appeals primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.
Opinion
Reggie Oliphant ("Oliphant"), appeals from the judgment of the motion court denying his Rule 24.0351 motion to set aside his convictions for two counts of distribution, delivery, manufacture, or production of a controlled substance; and one count of keeping or maintaining a public nuisance. Because the record is insufficient to demonstrate that the motion court conducted the required Moore2 abandonment inquiry following appointed counsel's untimely amended motion, we reverse and remand.
Motion Court Failed to Conduct Moore Abandonment Inquiry
The record reflects (and both parties agree) that appointed counsel filed an untimely amended motion. An untimely amended motion raises the presumption of abandonment, which the motion court must resolve after inquiry. Moore v. State ,
As the State correctly indicates, "there is an insufficient record to establish that the motion court made an inquiry in to whether [Oliphant] was abandoned[.]"
We reverse and remand with directions that the motion court conduct a Moore abandonment inquiry, and for such further proceedings as appropriate pursuant to Rule 24.035.
DANIEL E. SCOTT, J. - CONCURS
MARY W. SHEFFIELD, J. - CONCURS
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557 S.W.3d 541, Counsel Stack Legal Research, https://law.counselstack.com/opinion/oliphant-v-state-moctapp-2018.