Anderson v. State
Annotate this CaseThe State of Delaware ("State") filed an habitual driving offender petition in the Court of Common Pleas against respondent under Chapter 28 of Title 21 of the Delaware Vehicle Code. Hours after declaring respondent an habitual offender, the Court of Common Pleas, sua sponte, vacated its earlier judgment, holding that the State's exercise of prosecutorial discretion in respondent's case was inconsistent with the State's prosecution of other habitual driving offender petitions heard that same day. At issue was whether the Court of Common Pleas erred in vacating its earlier order declaring respondent an habitual driving offender. The court held that the Court of Common Pleas had no legal basis to conclude that respondent was not an habitual driving offender where the statutory requirements for habitual driving offender status had all been established. The court also held that the Court of Common Pleas erred in finding the State's refusal to offer a continuance to respondent constituted a legal "wrong" where the state was not required to request a continuance in each and every habitual driving offender prosecution. The court further held that the Court of Common Pleas erroneously relied on Court of Common Pleas Civil Rules 60(b)(3) and 60(b)(6) as a basis to remedy the State's "misrepresentations." The court finally held that nothing in Court of Common Pleas Civil Rule 11 suggested that the trial court could vacate an earlier order, thereby resulting in a dismissal of the proceeding, as sanction for a party's alleged violation of that rule.
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