Sharris v. Commonwealth

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In this criminal matter, the Supreme Judicial Court held that maintaining pending charges against an incompetent defendant where the defendant will never regain competency and where maintaining the charges does not serve the compelling State interest of protecting the public violates the defendant’s substantive due process rights.In 1994, Defendant was charged with murder in the first degree but was deemed incompetent to stand trial. After unsuccessfully filing a series of motions to dismiss and for reconsideration, in 2016, Defendant sought relief pursuant to Mass. Gen. Stat. ch. 211, 3 arguing that he was permanently incompetent to stand trial and dismissal of the charges was required. At issue was Mass. Gen. Laws ch. 123, 16(f), which requires mandatory dismissal of charges at the time when the defendant would have been eligible for parole if he had been convicted and sentenced to the maximum statutory sentence. Defendant argued that the statute should be interpreted to apply to all crimes, regardless of parole eligibility. The Supreme Judicial Court agreed, holding that the statute satisfies due process requirements only insofar as it is understood to allow the dismissal of charges, in the interest of justice, where the defendant will never regain competency and does not pose a risk to public safety. View "Sharris v. Commonwealth" on Justia Law