Bush v. State
Annotate this CaseIn 2000, Defendant pleaded guilty to two counts of attempted rape. In 2010, the Supreme Court filed its opinion in Ward v. State, in which the Court held that trial courts, before accepting a guilty plea to a crime carrying a mandatory sentence of lifetime community supervision, must inform the defendant desiring to plead guilty of the consequence of lifetime supervision. In 2011, Defendant filed a petition for relief under the Post-Conviction Procedure Act, alleging that his guilty pleas were not knowing or voluntary because he had not been informed that he would be subject to lifetime community supervision. The trial court concluded that Defendant was entitled to post-conviction relief because (1) Ward should be applied retroactively, and (2) the applicable statute of limitations should be tolled on due process grounds. The court of criminal appeals reversed. The Supreme Court affirmed, holding (1) the holding in Ward does not require retroactive application, and therefore, Defendant was not entitled to tolling under Tenn. Code Ann. 40-30-102(b)(1); and (2) Defendant’s case did not warrant due process tolling.
Court Description: Authoring Judge: Justice William C. Koch, Jr.
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