Moody v. StateMoody v. State
OPINION
delivered the opinion of the court,
The petitioner, Michael Robert Moody, filed a “Motion to Correct Errors in Judgment” in which he claimed that the two sentences requiring him to register as a sexual offender are illegal. The trial court dismissed the motion, and the Court of Criminal Appeals denied Moody’s request for discretionary review through the common law writ of certiorаri. We conclude that the writ of certiorari is not available to review the denial of a motion to correct an illegal sentence and that a habeas corpus action, not a motion, is the proper procedure for collaterally attacking an illegal sentence. Accordingly, we affirm the judgment of the Court of Criminal Appеals.
BACKGROUND
In November 1999, the petitioner, Michael' Robert Moody, was convicted of aggravated assault and spousal sexual battery. The trial court sentenced him to consеcutive sentences of six years for aggravated assault and four years for spousal sexual battery. By agreement of the parties, Moody was placed on probation under an enhanced supervision program applicable to sexual offenders. Both judgment forms required Moody to register with the Tennessee Bureau of Investigation as a convicted sexual offender. Moody neither sought a direct appeal of his convictions and sentences nor challenged them in a post-conviction or habеas corpus proceeding. In May 2000, the trial court revoked Moody’s probation and ordered Moody to serve his sentences in confinement. The Court of Criminal Appeаls affirmed.
In January 2003, Moody, filed a pro se “Motion to Correct Errors in Judgment” in the trial court in which he challenged the legality of the sentences requiring him to register as a sexual offender. The trial court denied the motion without addressing the registration issue, and Moody appealed the denial by filing a petition for writ of certiorari in the Court of Criminal Appeals. The Court of Criminal Appeals rеcognized that spousal sexual battery is not listed as a “sexual offense” requiring registration. However, the court held that Moody should have sought relief through a habeas corpus petition rather than by filing a motion to correct errors in the judgment in the trial court and a petition for writ of certiorari on appeal. We granted review and appointed counsel to represent Moody for purposes of this appeal.
ANALYSIS
Moody contends that aggravated assault and spousal sexual battery are not sexual offenses for registration purposes
The common law writ of certiorari has been codified in Tennessee Code Annotated section 27-8-101(2000), which provides:
The writ of certiorari may be granted whenever authorized by law, and also in all cases where an inferior tribunal, board, or officer exercising judicial functions has exceeded the jurisdiction conferred, or is acting illegally, when, in the judgment of the court, there is no other plain, speedy, or adequate remedy. This section does not apply to actions governed by the Tennessee Rules of Appellate Procedure.
Generally, the writ of certiorari is limited in application and may not оrdinarily be used “to inquire into the correctness of a judgment issued by a court with jurisdiction.”
State v. Adler,
Moody could have presented his illegal sentence claims in a habeas corpus рroceeding with an appeal as of right from the denial of habeas relief.
See
Despite the availability of a habeas corpus action for illegal sentence claims, the Court of Criminal Appeals has occasionally reviewed thеse claims through the common law writ of certiorari.
See Cox v. State,
We adhere to the rule stated in
Burkhart
that a trial judge may correct an illegal sentence at any time. However,
Cox’s
reliance on
Burkhart
as supporting certiorari review of the denial of a motion to correct an illegal sentence is misplaced.
Burkhart
predated the Tennessee Rules of Appellate Procedure, which became effective on July 1, 1979. A principal purpose of the Rules of Appellate Procedure is to bring together in one place а simplified, coherent, and modern body of law. Advisory Commission Comments to
Moody acknowledges that he failed to comply with the procedural requirements for a habeas corpus action.
See
TenmCode Ann. § 29-21-107 (2000). The procedures for filing a habeas corpus petition are codified in Tennessee Code Annotated sections 29-21-101 through 29-21-130. These procedures are “mandatory and must be followed scrupulously.”
Archer v. State,
CONCLUSION
A habeas corpus action is the proper procedure for collaterally challenging an illegal sentence. Althоugh a trial court may correct an illegal sentence at any time, appellate courts may not review the denial of a motion to correct an illegal sentеnce through the common law writ of certiorari. Accordingly, we affirm the judgments of the lower courts dismissing Moody’s case.
The record indicates that Moody is indigent. Therefore, the сosts of appeal are taxed to the State of Tennessee.
Notes
. A 2002 amendment redesignated subsection (3) as (5).
See
. A void or illegal sentence also may be challenged collaterally in a post-conviction proceeding when the statutory requirements are met.
See State v. Mahler,