People v. CampbellPeople v. Campbell
Defendant was charged with manufacturing marijuana,
The charges against defendant resulted from a search, pursuant to a warrant, of his home and vehicle on December 3, 2007. Nine marijuana plants, two bags of dried marijuana, and assorted drug paraphernalia were discovered in the search. A shotgun was also recovered from defendant’s home. Defendant stated to the police officers who executed the warrant that the marijuana was for medicinal use. While defendant’s criminal charges were pending, the MMA was enacted and became effective on December 4, 2008.
Defendant moved to dismiss the charges against him on the basis of the MMA, which provides an affirmative defense for a criminal defendant facing marijuana-related charges.
The sole issue on appeal is whether the MMA should be retroactively applied. A trial court’s decision on a motion to dismiss is reviewed for an abuse of discretion. People v Stone,
In reaching its decision, the trial court relied on People v Wright, 40 Cal 4th 81; 51 Cal Rptr 3d 80;
Generally, statutes are presumed to operate prospectively unless the Legislature either expressly or impliedly indicated an intention to give the statute retroactive effect. People v Conyer,
We find our decision in Conyer instructive in the resolution of this issue. Conyer, like the instant case, dealt with whether a newly enacted statute should be applied retroactively. The Conyer Court concluded that the statute in that case,
Like the statute analyzed in Conyer,
We reject defendant’s argument that
We also reject defendant’s argument that the trial court’s decision was correct in light of the outcome in People v Lowell,
In light of our conclusions, we need not address the remaining arguments raised on appeal.
Reversed and remanded for reinstatement of the charges against defendant. We do not retain jurisdiction.