State v. Kennedy
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The Supreme Court vacated the order of the district court terminating Defendant’s post-release supervision “unsatisfactorily,” holding that the district court erred in terminating post-release supervision.
After finding that Defendant had violated his post-release supervision, the district court decided that it was not appropriate to revoke the supervision and so terminated the post-release supervision altogether. The Supreme Court vacated the sentencing order and remanded the cause for further proceedings, holding (1) under the circumstances of this case, the district court was authorized by Neb. Rev. Stat. 29-2268(3) to either order a reprimand or warning, intensify supervision or reporting, impose additional conditions of probation, impose custodial sanctions, or extend the term of probation; and (2) because the district court did none of these, the sentencing order was erroneous and resulted in an excessively lenient sentence.
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