Tiplick v. State
Annotate this CaseDefendant was charged with possessing, selling and dealing in the chemical compound designated XLR11 and dealing and conspiracy to commit dealing in look-alike substances. Defendant filed a motion to dismiss the charges, claiming that the information failed to reference the Indiana Board of Pharmacy’s Emergency Rule 12-493(E), which criminalized XLR11; the applicable statutory schemes were void for vagueness; and the General Assembly could not delegate to the Pharmacy Board the power to criminalize XLR11. The trial court denied Defendant’s motion. The Supreme Court (1) affirmed the trial court’s denial of Defendant’s motion to dismiss the charges against him under the applicable statutes, holding that there was no constitutional or statutory infirmity to any of the charges; but (2) dismissed the XLR11-related charges, holding that the charging information was inadequate with respect to those charges. Remanded.
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