State v. Smith
Citation
341 Or. App. 304
Court
Court of Appeals of Oregon
Decided
June 11, 2025
Jurisdiction
SA
Importance
45%
Practice Areas
Case Summary
304 June 11, 2025 No. 540 This is a nonprecedential memorandum opinion pursuant to ORAP 10.30 and may not be cited except as provided in ORAP 10.30(1). IN THE COURT OF APPEALS OF THE STATE OF OREGON STATE OF OREGON, Plaintiff-Respondent, v. REBECCA LEE SMITH, Defendant-Appellant. Deschutes County Circuit Court 21CR07957; A183386 Walter Randolph Miller, Jr., Judge. Submitted May 13, 2025. Ernest G. Lannet, Chief Defender, Criminal Appellate Section, and Joel C. Duran, Deputy Public Defender, Oregon Public Defense Commission, filed the brief for appellant. Dan Rayfield, Attorney General, Benjamin Gutman, Solicitor General, and Michael A. Casper, Assistant Attorney General, filed the brief for respondent. Before Shorr, Presiding Judge, Powers, Judge, and Pagán, Judge. PER CURIAM Remanded for resentencing; otherwise affirmed. Nonprecedential Memo Op: 341 Or App 304 (2025) 305 PER CURIAM Defendant appeals from a judgment of conviction for driving under the influence of intoxicants (DUII), ORS 813.010, and reckless driving, ORS 811.140. She initially pleaded guilty to reckless driving, which was reduced to a violation, and pleaded no contest to DUII and entered diver- sion. The trial court ultimately revoked defendant’s DUII diversion and sentenced her to 18 months of bench proba- tion and two days in jail, and ordered defendant to “pay any required per diem fees.” Defendant contends that the trial court erred when it included the per diem fees in the judgment without pro- nouncing that term in her presence at sentencing. The state concedes the error and we accept the concession. See State v. Barr, 331 Or App 242, 244, 545 P3d 772, rev den, 372 Or 720 (2024) (“The trial court erred by including a previously unannounced term in the sentencing judgment.”). Defendant maintains that the appropriate rem- edy is for us to reverse the per diem fees outright, and that remand for resentencing is unnecessary because the record reflects that the trial court did not intend to impose any additional monetary obligations. However, although the court expressly suspended other fees and fines at sentenc- ing, it did not address per diem fees one way or another. On resentencing, the court may clarify its intention regarding per diem fees. Remanded for resentencing; otherwise affirmed.
Case Details
Case Details
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Status
Decided
Date Decided
June 11, 2025
Jurisdiction
SA
Court Type
federal
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Case Overview
Case Name: State v. Smith
Citation: 341 Or. App. 304
Court: Court of Appeals of Oregon
Date: June 11, 2025
Jurisdiction: SA
In State v. Smith, the Oregon Court of Appeals addressed an appeal from a conviction for driving under the influence of intoxicants (DUII) and reckless driving. The defendant, Rebecca Lee Smith, initially pleaded guilty to reckless driving, which was subsequently reduced to a violation. She then entered a no contest plea to DUII and was granted diversion. However, the trial court revoked her diversion, imposing an 18-month bench probation, two days in jail, and ordered her to pay per diem fees.
Key Legal Issues
- Whether the trial court erred by including per diem fees in the sentencing judgment without announcing them in the defendant's presence.
- The appropriate remedy for the alleged error in sentencing.
Court's Decision
The Court of Appeals remanded for resentencing but affirmed the other aspects of the trial court's judgment. The state conceded that the trial court made an error by including the per diem fees without prior announcement.
Legal Reasoning
The appellate court referenced State v. Barr, where it was established that including unannounced terms in a sentencing judgment constitutes an error. The court noted that while the trial court suspended other fees and fines, it did not clarify its stance on the per diem fees, leading to ambiguity in the sentencing order. The appellate court determined that the trial court should have the opportunity to clarify its intentions regarding these fees during resentencing.
Key Holdings
- The trial court erred by including per diem fees in the judgment without pronouncing them at sentencing.
- Remand for resentencing is necessary to clarify the trial court's intentions regarding the per diem fees.
Precedents and Citations
- State v. Barr, 331 Or App 242, 244, 545 P3d 772, rev den, 372 Or 720 (2024) - This case was cited to support the conclusion that unannounced terms in sentencing judgments are erroneous.
Practical Implications
The ruling in State v. Smith highlights the importance of clear communication during sentencing proceedings. Legal practitioners should ensure that all terms of a sentence, especially financial obligations like per diem fees, are explicitly stated in court to avoid future complications. This case serves as a reminder for trial courts to adhere to procedural requirements to uphold the integrity of the judicial process. Additionally, defendants should be aware of their rights regarding sentencing terms and the necessity for those terms to be articulated clearly in their presence.
This case also underscores the potential for appeals based on procedural errors in sentencing, which can lead to remands and further hearings. Legal professionals should take note of this decision when advising clients on the implications of plea agreements and sentencing outcomes.
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Case Details
Legal case information
Status
Decided
Date Decided
June 11, 2025
Jurisdiction
SA
Court Type
federal
Legal Significance
Case importance metrics
Metadata
Additional information
Quick Actions
Case management tools