Bradley v. State of Indiana
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Stevie Bradley was accused of multiple felonies, including attempted murder and domestic battery, after a violent incident with his girlfriend, A.R. Bradley demanded A.R. call another man, and when no one answered, he assaulted her. The violence continued as he drove through rural St. Joseph County, eventually threatening her with a machete. A.R. fled to a nearby home, but Bradley recaptured her, further assaulting her before she managed to escape again. The State charged Bradley with several offenses, and he requested a speedy trial.
The St. Joseph Superior Court initially set Bradley's trial within the seventy-day window required by Criminal Rule 4(B). However, the court later ordered a competency evaluation for Bradley, vacating the original trial date. After Bradley was deemed competent, the court reset the trial date beyond the seventy-day period, leading Bradley to file multiple motions for discharge, arguing that his right to a speedy trial was violated. The trial court denied these motions, and Bradley was convicted on all charges except strangulation.
The Indiana Court of Appeals vacated Bradley's convictions, ruling that the trial court erred by resetting the seventy-day period instead of merely tolling it during the competency evaluation. The court found no justification for scheduling the trial beyond the original deadline. The State petitioned for transfer, which the Indiana Supreme Court granted.
The Indiana Supreme Court held that a trial court’s sua sponte order for a competency evaluation does not reset the Criminal Rule 4(B) period but merely tolls it. However, the court also held that Bradley waived his right to discharge by failing to properly notify the trial court of its scheduling error. Consequently, the Indiana Supreme Court affirmed the trial court's judgment.
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