. Appellant Charles Edward Birr appeals the denial of his motion tо vacate an aggravated robbery sentence which is to run consecutive to his life sentence for accessory to felony murder. Birr’s challenge that the sentences violated constitutional double jeopardy provisions was rejected by this court’s 1987 dеcision in
Birr v. Wyoming,
Birr states the issue as:
I. Whether the district court erred by not applying the Cook decision retroactively, thus, wrongfully denying Mr. Birr’s motion to vacate his 20 to 25 year accessory to aggravated robbery sentencе, which is to run consecutive to his life sentence for accessory to felony murder. Thereby violating the double jeopardy clause of the Wyoming and United States Constitutions.
The state rephrases the issues as:
I. Whether appellant may pursue relief on his double jeopardy claim through a motion to correct sentence?
*516 II. Whether Cook v. State should be retroactively applied to cases which had become final prior to the publiсation of that decision?
III. Whether this court should re-evaluate and overrule Cook v. State in light of its subsequent decisions?
Birr first appealed to this court following sentencing for a 1985 robbery which he helped to plan. He supplied guns, rope and tape to two other men and drove them tо the trailer of the intended victims. While Birr waited at a rendezvous location, his accomplices robbed and killed Robert and Kathlеen Bernard.
Birr,
Birr pleaded guilty to accessory to felony murder аnd accessory to aggravated robbery and moved to merge the offenses for purposes of sentencing. The motion was denied, and he was sentenced to consecutive prison terms. Hе appealed, contending the imposition of conseсutive sentences violated the double jeopardy clausеs of both the United States and the Wyoming constitutions. This court held that, because the legislature intended the offenses of aggravated robbery and felony murder to be distinct, consecutive sentences did not violate the constitutional double jeopardy provisions. Birr, at 1122.
In Cook, this court reexamined the statutory analysis of Birr in light of subsequent United States Supreme Court decisions and decided that Birr had been incorrectly decided, oveiruling that decision. Cook at 1350, 1353. Following publication of the Cook decision, Birr filed a Rule 35 Motion to Vacate or Comet Sentence and requested retroactive application of Cook to his sentence. The district court decided that Cook shоuld not be given retroactive application and denied thе motion.
In 1993, this court decided
DeSpain
and held that a motion brought under Wyo. R.Crim.P. 35(a) was not the proper remedy by which to assert a violation of double jeopardy protections.
DeSpain,
Procedurally, Birr’s double jeopardy claim is identical to DeSpain. Birr’s challenge is also to his convictions and not to the sentence, and his proper remedy lies in post-conviction relief under the statute.
We hold that this court’s 1993 decision in DeSpain is dispositive and affirm the district court’s denial of the Rule 35 motion.
