Smith v. Mississippi
Annotate this CaseDonald Smith was indicted for two counts of kidnapping, one count of armed carjacking, and one count of felony evading a police officer. His case was set for trial on November 13, 2008. On that date, Smith orally moved for a continuance and a psychiatric examination. Under Uniform Rule of Circuit and County Court Practice 9.06, a mental evaluation and competency hearing are mandatory if the trial court has a reasonable ground to believe the defendant is incompetent to stand trial. Before Smith entered a guilty plea, the trial court ordered a mental evaluation of Smith that never was performed. The record was silent as to the reason the trial court ordered the mental evaluation. The Supreme Court granted Smith’s petition for certiorari on his postconviction claim that the trial court had erred by accepting his guilty plea without a completed mental evaluation and competency hearing. Because a mental evaluation and hearing were required if the trial court ordered the mental evaluation to assess Smith’s competence to stand trial, the Court reversed and remanded for an evidentiary hearing on the issue of why the trial court ordered a mental evaluation.
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