State v. Clark
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The Supreme Court reversed the order of the circuit court granting Defendant's motion collaterally attacking two prior convictions from 1995 and 2002, holding that the lack of a transcript meant that Defendant retained the burden to prove a violation of her right to counsel occurred.
Defendant was charged with operating while intoxicated (OWI), and her driving record showed three prior OWI convictions. Defendant collaterally attacked two of those convictions, claiming that she did not knowingly, intelligently, and voluntarily waive her right to counsel. The relevant documents of the convictions, however, no longer existed, and the State could therefore not produce transcripts from either case at the motion hearing. The circuit court granted Defendant's motion, concluding that Defendant's testimony shifted the burden to the State, which submitted insufficient evidence to refute the testimony. The Supreme Court reversed, holding that Defendant retained the burden to demonstrate a violation of her right to counsel.
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