Brown v. Kotek
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The plaintiff, Terri Lee Brown, was incarcerated due to an order from Governor Tina Kotek that revoked a previous conditional commutation of one of Brown's sentences. Brown had received the commutation in December 2020 from then-Governor Kate Brown and completed all her sentences by February 2023. Governor Kotek's revocation order was issued in December 2023. Brown petitioned for a writ of habeas corpus, arguing that the Governor lacked authority to revoke the commutation after she had finished serving all her sentences.
The state argued that the Governor had the authority to revoke Brown's commutation after her sentence had expired. The state also contended that Brown, in accepting the previous Governor's conditional commutation, had waived her right to seek habeas relief or otherwise challenge the revocation. Brown countered that the purported waiver in the acceptance agreement she signed was invalid or unenforceable.
The Supreme Court of the State of Oregon concluded that when the Governor revoked Brown's conditional commutation, she lacked the authority to do so under the terms of the commutation. The court also rejected the state's argument that Brown waived her right to challenge her present imprisonment. The court found that Brown's imprisonment was unlawful and ordered her immediate release from custody. The court further waived otherwise applicable appellate rules relating to reconsideration and the issuance of the appellate judgment, directing the State Court Administrator to issue the appellate judgment immediately.
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