State v. Cumston, Unpublished Decision (6-27-2000)
This text of State v. Cumston, Unpublished Decision (6-27-2000) (State v. Cumston, Unpublished Decision (6-27-2000)) is published on Counsel Stack Legal Research, covering Ohio Court of Appeals primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.
Opinion
The facts and procedural history of the case are as follows. In March 1998, the appellee was indicted by the Marion County Grand Jury on one count of possession of cocaine, in violation of R.C.
In October 1999, Julie Price of the Marion County Adult Probation Department moved to have the appellee's participation in the treatment in lieu of conviction program revoked on the grounds that he had, on three separate occasions, tested positive for cocaine. The matter was set for hearing on November 22, 1999. At the hearing, the appellee admitted to having had violated the terms of his treatment. Nonetheless, the trial court found the appellee to be eligible for continued treatment in lieu of conviction.1
The State now appeals, asserting the following sole assignment of error.
Whether a trial court has the discretion to disregard the mandatory language of R.C.2951.041 (F) by failing to enter an adjudication of guilt and continuing a defendant on treatmentin lieu of conviction, even after the court has found that the defendant has failed to comply with the conditions of his treatment in lieu of conviction.
In its sole assignment of error, the State maintains that the trial court erred in finding that the appellee was eligible for continued treatment in lieu of conviction after he was found to have failed to comply with his conditions of treatment. For the following reasons, we agree.
R.C.
If the facility or program reports to the probation officer that the offender has failed treatment, has failed to submit to or follow the prescribed treatment, or has become a discipline problem, if the offender does not satisfactorily complete the period of rehabilitation or the other conditions ordered by the court, or if the offender violates the conditions of the period of rehabilitation, the offender shall be arrested as provided in section
2951.08 of the Revised Code and removed from the facility or program, and the court immediately shall hold a hearing to determine if the offender failed treatment, failed to submit to or follow the prescribed treatment, did not satisfactorily complete the period of rehabilitation or any other condition ordered by the court, or violated any condition of the period of rehabilitation. If the court so determines, it immediately shall enter an adjudication of guilt and shall impose upon the offender a term of imprisonment.
It is well established that statutory interpretation is necessary only when a statute is found to be subject to various interpretations. Cline v. Bureau of Motor Vehicles (1991),
In the case herein, we conclude that the language of R.C.
Accordingly, the State's assignment of error is sustained.
Having found error prejudicial to the State herein, in the particulars assigned and argued, the judgment of the Marion County Court of Common Pleas is hereby reversed and remanded for further proceedings in accordance with this opinion.
___________________________ HADLEY, P.J.
WALTERS and SHAW, JJ., concur.
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