State v. Dudas
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In this case, the Supreme Court of Ohio addressed the issue of the filing deadline for a petition for postconviction relief following a delayed appeal. The defendant was convicted of murder and other crimes, did not file a direct appeal within the required 30 days but later filed a motion for a delayed appeal, which was granted. He filed a petition for postconviction relief within 365 days of the trial transcript being filed in the court of appeals.
The court of appeals had affirmed the trial court's judgment, asserting that the defendant's petition was untimely. They argued that in the case of a delayed appeal, the applicable deadline was not the direct-appeal deadline of 365 days from the date of the filing of the trial transcript but rather the no-appeal-taken deadline of 365 days from the expiration of the time for filing a direct appeal.
The Supreme Court of Ohio disagreed, holding that under Ohio law, a delayed appeal of a conviction is a direct appeal, and the same postconviction-relief deadline applies for a delayed appeal as applies to any other type of direct appeal. The court found that the defendant had timely filed his postconviction petition within 365 days after the transcript was filed in the court of appeals in his delayed appeal. Therefore, the Supreme Court of Ohio reversed the judgment of the Eighth District Court of Appeals and remanded the matter to that court for further consideration.
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