The Vermont Constitution specifically provides that “[a] person accused of an offense punishable by death or life imprisonment may be held without bail when the evidence of guilt is great.” Vt. Const, ch. II, § 40(1). This provision is implemented through 13 V.S.A § 7553. That statutory section also provides that, if the evidence of guilt is not great, the person shall be bailable in accordance with § 7554 of Title 13, which governs release prior to trial.
The trial court decided the bail review in this case by relying on the standard set forth in
State v. Duff,
In Fanger, the defendant was charged with unlawful trespass into an apartment he managed. He moved for dismissal of the information on the ground that the prosecution would be unable to make out a prima facie case against him pursuant to V.R.Cr.P. 12(d). At issue in Fanger was whether the State could show that the defendant knew he was not privileged to enter the apartment, an essential element of the crime charged. In support of his motion to dismiss, the defendant offered his own affidavit describing his version of what occurred when he entered the apartment. Based on the explanation offered in the defendant’s affidavit that he entered to turn on the heat in other apartments and that he believed the tenancy had ended, the trial court ruled that the State failed to show that defendant knew he was not privileged to enter the apartment and dismissed the information. The State appealed.
On appeal, this Court held that, while “[njormally, a prima-facie-case ruling is made solely on evidence offered by the State,” the trial court should consider evidence provided by the defendant when assessing whether the State had admissible evidence on each element of the charged offense.
Fanger,
In the present case, defendant introduced at the bail review hearing below affidavits disputing evidence offered by the State of alleged incriminating statements by defendant, including ones suggesting that defendant’s statements were made at a time when defendant and those witnesses who heard his statements were under the influence of hallucinogenic mushrooms. As noted above, in denying defendant bail, the trial court cited its inability to consider this modifying evidence
Reconciling the holdings of
Duff
and
Fanger
is not difficult. First, it is important to recognize that the issue presented in
Fanger
arose from a motion to dismiss,
alleging the inability of the State to establish a prima facie case, and not a bail review assessing whether evidence of guilt is great.
Fanger,
Fanger
should not be interpreted to require a court, presented with a 12(d) motion, to do more than determine if the State has admissible evidence on each element of the crime charged. Likewise, in reviewing a denial of bail pursuant to 13 V.S.A. § 7553, application of the standard adopted in
Duff
requires a reviewing court to decide if the State has substantial, admissible evidence legally sufficient to sustain a verdict of guilty.
Duff,
Preliminarily, we note that, because the modifying or conflicting evidence submitted in this ease was offered through affidavits, a credibility determination between affiants would be difficult, if not impossible. More importantly, it is not the role of the court in a bail review hearing to judge the State’s case. In a bail hearing, guilt or innocence of the accused is not the issue, and there should be no evaluation of the evidence with that result in mind. Direct conflicts between inculpatory or exculpatory facts cannot be resolved at this stage. Such matters must await jury determination at trial. Rather, the court need only determine if the State’s evidence is sufficient to sustain a verdict of guilty, not whether the jury will indeed be persuaded to render same.
■ In Duff, we adopted the standard applied by a majority of the states in pretrial bail hearings:
the narrow and focal issue must be kept in mind by the trial court and the hearing tailored to that issue, i.e., whether the facts adduced by the State, notwithstanding contradiction of them by defense proof, warrant the conclusion that if believed by a jury they furnish a reasonable basis for a [guilty] verdict. . . .
Having determined that the court utilized the proper standard in a proper manner, we now turn to the question of whether the decision is supported by the trial court proceedings. See
State v. Passino,
Defendant also argues that the trial court failed to properly consider alternative measures to holding without bail that would reasonably ensure the appearance
by defendant. Even though defendant is not entitled to bail in this case pursuant to 13 V.S.A. § 7553, the trial court does have discretion to allow bail.
Duff,
Affirmed.
Notes
In deciding whether the State had substantial evidence of guilt, the trial court below specifically did not consider evidence submitted by the State that was subject to challenges by defendant on admissibility grounds, as was the situation presented in
State v. Passino,
