People v. North River Insurance Co.
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Bonds posted a $200,000 bail bond for Quinones-Arias. North was the surety and guaranteed the defendant’s appearance. Quinones-Arias did not appear at a plea hearing on December 17, 2018. The court declared the bond forfeited and issued a $200,000 bench warrant. A notice of forfeiture was mailed to the companies, advising that the forfeiture would become final on July 14, 2019 (180 days plus five days for mailing) unless the defendant is surrendered. On July 8, 2019, Bonds moved to toll the 180-day period based on temporary disability (Pen. Code 1305(e)), or alternatively to extend the time to return Quinones-Arias to court. (1305.4), arguing that Quinones-Arias’s detention and deportation constituted a temporary disability. A bail agent is entitled to tolling during a period of disability and for a reasonable time thereafter. The prosecutor stated that the Department of Homeland Security indicated that Quinones-Arias was not deported but voluntarily departed. The court denied the motion, finding that Quinones-Arias had voluntarily left the country and the bail agent had made no effort to return or surrender Quinones-Arias, or request his extradition.
The court of appeal reversed, noting the state’s concession that Quinones-Arias was under a temporary disability when he failed to appear and the disability continued throughout the 180-day appearance period.
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