Supreme Court of Kansas

State v. Coleman

April 10, 2020460 P.3d 828

Summary

The court held that the statutory exception permitting immediate probation revocation after a dispositional departure applies only when the underlying offense was committed on or after July 1, 2017. Because Coleman’s offenses predated that effective date, the district court could not bypass graduated sanctions, so the court affirmed the Court of Appeals, reversed the district court, and remanded for a new violation hearing. The opinion contains no separate writings.