State v. Riessland
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The Supreme Court affirmed the judgment of the district court overruling Appellant's second motion for discharge on statutory speedy trial grounds, holding that a defendant can permanently waive his or her statutory speedy trial rights even if he or she does not pursue an appeal.
Appellant was charged with a crime and filed a motion for discharge on statutory speedy trial grounds. The district court overruled the motion, and Appellant did not appeal. Appellant subsequently filed a second motion for discharge. The district court overruled the motion, concluding that, by filing her first motion, Appellant permanently waived her statutory speedy trial rights. The Supreme Court affirmed, holding that a defendant permanently waives her speedy trial rights when an ultimately unsuccessful motion for discharge results in the continuance of a timely trial to a date outside of the statutory six-month period, calculated on the date the motion for discharge was filed.
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