In Re Necessity for the Hospitalization of Mark V.
Annotate this CaseThe superior court issued a 30-day involuntary commitment order after finding that Mark V. was gravely disabled and “entirely unable to fend for himself independently in the community.” Mark argued that there was insufficient evidence to prove he could not live independently. Although Mark’s appeal was technically moot, his claim raised an important question that satisfied the public interest exception: Where does family and community support fit within the involuntary commitment process and which party bears the burden of proving or disproving that a respondent has that support? The Supreme Court held that the respondent’s inability to function with outside support, when relevant, was part of the petitioner’s burden of proving that there was no less restrictive alternative to commitment. But the Court found in this case that the State’s evidence satisfied this burden, and the Court therefore affirmed the 30-day commitment order.
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