Idaho v. Lee
Annotate this CaseAfter moving from the address that he reported to the Idaho State Police Sex Offender Registry pursuant to the sex offender registration requirements of I.C. 18-8309 (2001) and having been extradited from Belize, Defendant David Leroy Lee was convicted of Failure to Register as a Sex Offender in 2009. Defendant asserted on appeal that the plain language of I.C. 18-8309 did not require sex offenders to register or update their address information with either the Registry or the sheriff of the county where the offender was required to register after moving to another country. In the alternative, he contended that the State failed to provide evidence establishing beyond a reasonable doubt that he moved from his last known address to a definite new address or actual residence thereby triggering his duty to notify the Registry or the sheriff. Furthermore, Defendant claimed that I.C. 18-8309 was unconstitutionally vague and that his due process rights were violated. Upon review, the Supreme Court found that the evidence was not sufficient to prove beyond a reasonable doubt that Defendant changed his address or actual residence. The Court therefore vacated the district court's Amended Judgment of Conviction, and remanded this case with instructions for the entry of a judgment of acquittal.