Elliott v. Commonwealth
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The Supreme Court affirmed the circuit court’s denial of Defendant’s motion to convert court costs to a jail term, holding that Defendant did not properly preserve the imposition for court costs for appellate review.
Defendant pled guilty to several drug offenses and received ten- and twenty-year sentences, respectively, to be served consecutively, totaling thirty years’ imprisonment. The circuit court also imposed court costs totaling $302 and provided that Defendant must pay those costs within 180 days of his release from prison. Defendant filed a motion to convert court costs to a definite jail term under Ky. Rev. Stat. 534.060. The circuit court denied the motion. Defendant then filed a motion to waive or convert the court costs. The circuit court also denied this motion. The Supreme Court affirmed, holding (1) court costs are mandatory in a criminal proceeding and will be waived or modified only upon a showing of “poor person” status; (2) without a determination or request for a determination of Defendant’s financial status, the Court will not review the imposition of court costs; and (3) court costs are not a component of a plea agreement.
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