State v. Killette
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The Supreme Court vacated the decision of the court of appeals dismissing Defendant's appeal of his conviction for two counts of manufacturing methamphetamine, holding that the trial court erred in denying Defendant's motion to suppress.
Defendant filed two motions to suppress evidence obtained during two searches of Defendants home in 2014 and 2015. Both motions were denied. Defendant appealed, but the court of appeals dismissed the appeal and denied his petition for a writ of certiorari. The Supreme Court remanded the case for reconsideration in light of State v. Ledbetter, 371 N.C. 192 (2018) and State v. Stubbs, 368 N.C. 40 (2015). On remand, the court of appeals again denied the petition, indicating that Defendant's failure to provide timely notice of his intent to appeal was fatal to his petition. The Supreme Court vacated the decision below, holding that the court of appeals had the jurisdiction and authority to issue the writ of certiorari.
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