Spells v. State
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In November 2021, Tailar Spells was arrested and charged with Level 6 felony battery by bodily waste and Class A misdemeanor resisting law enforcement. A $250 cash bond was set, which was deposited in full by a third party, and both Spells and the depositor signed a cash-bond agreement, permitting the court to retain all or part of the cash to pay for public defense costs and any fines, costs, fees, and restitution that the court may order Spells to pay if convicted. Spells was convicted on the battery charge but acquitted of resisting law enforcement. The court imposed a sentence, including a $20 fine and $185 in various fees and court costs, and later granted a request to apply $245 from Spells's cash bond to her fine, costs, and fees. Spells appealed, arguing that the trial court had failed to adequately inquire into her ability to pay.
The Indiana Supreme Court held that under the cash-bond agreement, the court was allowed to retain the entirety of Spells's public defense costs without an indigency determination. However, the court could retain cash bail to pay most other fines, costs, and fees only after considering Spells's ability to pay. The indigency determination in Spells's case was found to be incomplete, thus warranting partial remand to the trial court. The court ruled that an indigency hearing is necessary before retaining cash bail to pay most other fines, costs, and fees. The court also clarified the standard for indigency determinations, noting that the record of such determination must disclose evidence of the defendant's assets, income, and necessary expenses.
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