State v. Malette

A court issued a warrant for the arrest of the defendant after he assaulted and injured Dorian Jones.  The magistrate judge did not authorize his release after he was arrested; he was held for a hearing before the District Court Judge.  The Judge set a secured bond of $10,000; a few days later, the State and defense counsel agreed to a lowered bond on the condition that the defendant would have no contact with the victim.  The District Court Judge signed the order, and he was released after posting bond.  About a week later, when his case was called, he moved to dismiss.  He argued prosecution of the case violated the Double Jeopardy Clause of the Constitution.  The court noted that in its consideration of statutes, it has held that “constitutional attacks on criminal statutes must be made on a case-by-case basis.”  It found that in this case, there was no unreasonable delay in holding a post-detention hearing for the defendant.  Therefore, it held that N.C.G.S. § 15A-534.1(b), which “sets forth conditions of bail and pretrial release for individuals accused of crimes of domestic violence” was constitutional as applied to the defendant.

Year 

1999

Avon Center work product 

ID 

388