Michigan v. Kolanek (Opinion)
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The Supreme Court granted leave in three cases to consider the substantive and procedural aspects of the affirmative defense of medical use of marijuana under section 8, MCL 333.26428, of the Michigan Medical Marihuana Act (MMMA). Given the plain language of the statute, the Court held that a defendant asserting the section 8 affirmative defense is not required to establish the requirements of section 4, MCL 333.26424, which pertains to broader immunity granted by the Act. The Court of Appeals erred by reaching the opposite conclusion in "People v King," and the Court therefore reversed the Court of Appeals’ judgment in that case. Further, to establish the affirmative defense under section 8, the Court held that a defendant must show under section 8(a)(1) that the physician’s statement was made after enactment of the MMMA but before commission of the offense.
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