People v. DeCasas
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The Court of Appeal affirmed the trial court's grant of defendant's motion to dismiss a petition to have him civilly committed under the Sexually Violent Predators Act (SVPA), because he was deprived of his due process right to a speedy trial.
Applying the four factors in the Barker analysis, the court held that neither the length of the delay, the assertion of the right, the reasons for the delay, or prejudice is a necessary or sufficient condition to the finding of a deprivation of the right of speedy trial. Rather, the court held that they are related factors and must be considered together with such other circumstances as may be relevant. In this case, the trial court engaged in that balancing process and concluded that the state had failed defendant. Whether the court reviewed this determination under the abuse of discretion standard or, as the People assert, under a de novo standard, the court found no error based on the analysis. The court also held that, under the Mathews analysis, defendant's right to be free from government restraint without due process of law has been violated. The court rejected the People's cursory contention that the case should be ordered to trial and held that the trial court did not err in dismissing the petition.
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