State v. Liming
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The Supreme Court affirmed the district court's order overruling Defendant's motion for absolute discharge in which he contended that the State failed to bring him to trial within the time required by Neb. Rev. Stat. 29-1207, holding that Defendant's statutory right to a speedy trial was not violated.
In overruling Defendant's motion for absolute discharge, the district court concluded that a period of delay that resulted from a continuance of a settlement conference granted at the State's request but to which Defendant's counsel consented did not count toward the six-month speedy trial deadline. On appeal, Defendant argued that the delay brought about by the continuance of a settlement conference does not result in a period of excluded time. The Supreme Court disagreed, holding (1) the continuance of the settlement conference resulted in excluded time; and (2) Defendant statutory right to a speedy trial was not violated.
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