Gibson v. StateGibson v. State
The circuit court found that Katrine Gibson violated her probation by moving from her approved residence without permission. At the revocation hearing, the court told her that if she wanted a lawyer and couldn’t afford one, it would appoint one. Gibson declined, stating she would take care of the matter on her own without a lawyer. She now challenges the revocation of her probation on the ground that the court did not conduct a proper Faret-ta
As our supreme court noted in State v. Hicks,
Moreover, our review of the record leads us to believe that this case is one in which a constitutional right to counsel arose. Gagnon explained that the right to counsel at probation revocation hearings should be determined on a case-by-case basis. See
Whether based on Gagnon or Hicks, Gibson had a right to counsel at her probation revocation hearing. The circuit court failed to conduct the thorough inquiry required to establish that she knowingly and intelligently waived her right to have an attorney represent her. See
Reversed and remanded.
Notes
. Faretta v. California,