Wood v. Wallin
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The case revolves around the interplay between the requirements of the Vermont Sex Offender Registry and the merger provision of the concurrent-sentence statute. The plaintiff, Andrew Wood, was sentenced concurrently for murder and sexual assault. He served the maximum sentence for his sexual assault conviction but remained on parole. Wood filed a grievance with the Department of Public Safety (DPS) requesting removal from the sex offender registry, arguing that he had served his maximum sentence for the sexual assault conviction. The DPS denied his request, stating that the registry statute continued to apply because Wood had not yet been discharged from parole.
The civil division of the Superior Court granted summary judgment to the State, ruling that the registry statute continued to apply because Wood had not yet been discharged from parole, regardless of the connection between the parole and the registrable sex offense. Wood appealed this decision.
The Vermont Supreme Court reversed the summary judgment, stating that there were unresolved factual and legal questions regarding whether Wood's parole was linked to his sex offense. The court found that the plain language of the statute was insufficient to determine the impact of Wood's concurrent sentence on the registration requirements. The court remanded the case for further factual development to resolve whether the Department of Corrections considered Wood's parole to be connected to his sex offense.
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