TATIS v. StateTATIS v. State
We granted the interlocutory application of Brian Tatis to review the trial court’s denial of a motion for bond Tatis filed pursuant to
[a]ny person who is arrested for a crime and who is refused bail shall, within 90 days after the date of confinement, be entitled to have the charge against him or her heard by a grand jury having jurisdiction over the accused person. . . . In the event no grand jury considers the charges against the accused person within the 90 day period of confinement . . ., the accused shall have bail set upon application to the court.
This appeal requires the Court to construe the statute to determine what constitutes “confinement” that triggers the 90-day period within which the case of an unindicted and confined arrestee must be considered by the grand jury.
Warrants for appellant’s arrest for “Homicide-Murder 16-5-1” and “Armed Robbery 16-8-41” were issued by a magistrate judge on November 16, 2010, and appellant was arrested on November 23, 2010. Because he injured himself in an attempt to avoid arrest, appellant was handcuffed to a stretcher and transported immediately following his arrest to Grady Memorial Hospital, where he received treatment for two broken ankles. After two days of hospitalization, appellant was taken from the hospital to the Fulton County jail where he was booked into the jail on November 25. The Fulton County grand jury returned a true bill of indictment against
appellant on February 22, 2011, 92 days after he was arrested and taken to the hospital and 90 days after he was booked into the county jail.
2
On February 23, appellant filed a motion for a reasonable bond to be set pursuant to
“In all interpretations of statutes, the courts shall look diligently for the intention of the General Assembly” (
While the
Since it is undisputed that appellant was under arrest, was taken to the hospital pursuant to governmental authority, and was physically restrained during his two-day hospital stay as he was handcuffed to the hospital bed under the watchful eye of a deputy sheriff in an area of the hospital that contained jail cells, appellant was “in confinement” during his hospital stay, and the 90-day period in which his case was required to be presented to the grand jury commenced on November 23. Accordingly, the trial court erred when it denied appellant’s motion for bail on the charges for which appellant was arrested and held for 90 days without grand jury action.
The State does not dispute the fact that appellant was under arrest and physically restrained while in the hospital. Relying on
language in
State v. English, Bryant v. Vowell,
and
Richardson v. St. Lawrence,
supra, it argues instead that appellant’s period of confinement did not begin until he was incarcerated, i.e., restrained in a jail, prison, or penitentiary. In those cases, we stated that the defendants had been entitled to bond under
Judgment reversed.
Notes
After issuing an order filed on March 29, 2011, that denied the motion for reasonable bond, the trial court issued a certificate of immediate review and this Court granted appellant’s application for interlocutory review of the trial court’s decision. The case was docketed to this Court’s September 2011 term and was argued before this Court on September 12, 2011.
The true bill of indictment charged appellant with malice murder, felony murder with aggravated assault as the predicate felony, felony murder with armed robbery as the predicate felony, felony murder with conspiracy to violate the Georgia Controlled Substances Act as the predicate felony, armed robbery, conspiracy to commit a crime, aggravated assault with a deadly weapon, and possession of a firearm during the commission of a felony.
If the State fails to present its case to a grand jury for indictment within the 90-day period, setting hail is mandatory.
Rawls v. Hunter,