State v. Fowler
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The Supreme Court affirmed the decision of the court of appeals affirming the judgment of the district court sentencing Defendant after he pled guilty to felony possession of methamphetamine, felony domestic battery, and violation of a protective order, holding that the district judge did not engage in prohibited double counting of two prior misdemeanor domestic battery convictions.
Defendant's domestic battery conviction qualified as a felony rather than a misdemeanor because it was his third such conviction in five years. In calculating Defendant's criminal history score to determine the sentence for Defendant's conviction for methamphetamine possession, the judge included the same two misdemeanor domestic battery convictions that were used to elevate Defendant's domestic battery to a felony. On appeal, Defendant asserted that the district judge engaged in double counting of the two prior misdemeanor domestic battery convictions under Kan. Stat. Ann. 21-6810(d)(9). The court of appeals affirmed. The Supreme Court affirmed, holding that including Defendant's prior domestic battery convictions in Defendant's criminal history calculation for his primary grid conviction did not violate the double-counting provision of section 21-6810(d)(9).
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