Ashby v. State
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In this appeal from the denial of a post-conviction determination of factual innocence pursuant to the Post-Conviction Remedies Act the Supreme Court remanded the case to the district court, holding that further proceedings were required in accordance with the legal standards set forth in this opinion.
After a jury trial, Defendant was convicted of two counts of aggravated sexual abuse of a child for allegedly abusing her son, Kevin. Approximately one decade later Defendant recanted his statements. Based on the recantation, Defendant filed his petition for a post-conviction determination of factual innocence. The district court denied the petition after holding an evidentiary hearing. The Supreme Court remanded the case, holding (1) Kevin's recantation, if believable, was sufficient to prove Defendant's factual innocence by clear and convincing evidence; (2) the district court erred in denying the petition without weighing all of the relevant evidence, assessing credibility, or making an ultimate finding on the recantation's veracity; and (3) to the extent the district court made an implicit credibility determination, it was based on a clearly erroneous factual finding that certain facts were disputed.
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