Reilly v. Superior Court of Orange County

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Kevin Reilly was originally committed as a sexually violent predator (SVP) in 2000. In 2008, the Secretary of the Department of Corrections and Rehabilitation sought a petition for recommitment. Two evaluators evaluated Reilly under the Sexually Violent Predator Act (SVPA) and concluded he was an SVP. The Office of Administrative Law subsequently determined that the initial evaluations supporting the petition were conducted under an assessment protocol that amounted to an invalid regulation. The evaluators subsequently re-evaluated Reilly based on In re Ronje, this time concluding that he no longer met the criteria for commitment as an SVP. The court of appeal subsequently dismissed the SVPA commitment petition based on Ronje, which ordered replacement evaluations in these circumstances without requiring a determination that the underlying mistake in the assessment protocol amounted to material error. The Supreme Court reversed, holding (1) the Ronje decision was error; (2) an alleged SVP must show that any fault that did occur under the assessment protocol contained a material error; and (3) the court of appeal erroneously dismissed the petition against Reilly without requiring a finding of material error. View "Reilly v. Superior Court of Orange County" on Justia Law