Earl D. Harts v. State of IndianaEarl D. Harts v. State of Indiana
Earl D. Harts appeals from the district court’s denial of a writ of habeas corpus. Harts was convicted by an Indiana state court of refusing to submit to a breathalyzer test in violation of
The district court denied the petition for a writ of habeas corpus on the ground that Harts was not in custody within the meaning of
It is well settled that the custody requirement may be met even if the petitioner is not actually imprisoned.
See Jones v. Cunningham,
In
Jones v. Cunningham,
Justice Black wrote that conditions which “significantly restrain petitioner’s liberty to do those things which in this country free men are entitled to do ... are enough to invoke [habeas corpus].”
Id.,
Because Harts is not “in custody” within the meaning of
Notes
. A rationale governing these decisions appears to be the conditional nature of release; a violation of the conditions of bail, parole or probation may send the petitioner back to prison. Another recognized situation in which habeas corpus may lie even though the petitioner is not imprisoned due to the challenged conviction is where the conviction has collateral consequences such as sentence enhancement or delay of ultimate release from consecutive sentences.
See Harrison v. State,