State v. Glass
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The district court did not err in ruling that Defendant’s federal conviction for conspiracy to distribute methamphetamine did not bar a subsequent state prosecution for possession of dangerous drugs on double jeopardy grounds.
Defendant pled guilty to a charge of conspiracy to distribute in federal court. Thereafter, Defendant moved to dismiss the State’s drug-related charges, arguing that the State prosecution violated Montana’s double jeopardy prohibition. The district court denied the motion to dismiss. Thereafter, Defendant entered an Alford plea to one count of felony criminal possession of dangerous drugs, reserving the right to appeal the denial of his motion to dismiss. The Supreme Court affirmed, holding that Defendant’s possession of methamphetamine for his personal use was a distinct and separate prosecutable offense pursuant to Mont. Code Ann. 45-9-102(1).
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