United States v. Debenedetto, No. 13-3281 (7th Cir. 2014)
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Debenedetto was arrested for transmitting threatening communications (18 U.S.C. 875(c)). The district court ordered a mental competency evaluation. After a hearing, the court determined that Debenedetto suffered from mental disease or defect that rendered him incompetent to stand trial and ordered that he be placed in a federal medical center, Butner. Months later, the court reviewed the result of a second examination and held a hearing regarding the need to medicate Debenedetto without his consent. Defense counsel argued that he believed that Debenedetto, already in custody for 16 months, had already served the guidelines range for his offense and raised concerns regarding the effectiveness of the drugs. After an adjournment, counsel represented that Debenedetto had agreed to go back to Butner and, “if they feel involuntary medication is appropriate, that should be done, but they should also review or consider less intrusive measures.” Debenedetto spoke, expressing concerns that he had previously had seizures and indicated his belief that medication was not necessary. Debenedetto filed a pro se appeal from the subsequent commitment order. After the government indicated intent to execute the order promptly, his attorney moved to stay the order and to withdraw as counsel. The Seventh Circuit vacated, holding that the hearing and written findings did not establish the elements necessary to justify involuntary medication.
The court issued a subsequent related opinion or order on April 4, 2014.
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