State of Tennessee v. Terrell Lamont Reid

Case Number
W2019-00636-SC-R11-CD

On June 24, 2015, Terrell Lamont Reid (“the Petitioner”) pleaded guilty to possession of cocaine with intent to sell and possession of a firearm by a convicted felon. Pursuant to the criminal gang enhancement statute, the firearm offense was enhanced from a Class C to a Class B felony. See Tenn. Code Ann. § 40-35-121(b) (2014). On April 7, 2016, the Court of Criminal Appeals declared the criminal gang enhancement statute unconstitutional as a violation of substantive due process. See State v. Bonds, 502 S.W.3d 118, 158-60 (Tenn. Crim. App. 2016), perm. app. denied, (Tenn. Aug. 18, 2016). The Petitioner did not file a post-conviction petition challenging his guilty plea. Instead, the Petitioner filed a motion to correct an illegal sentence under Tennessee Rule of Criminal Procedure 36.1 (“Rule 36.1”), arguing that the intermediate appellate court’s decision declaring the criminal gang enhancement statute unconstitutional rendered his sentence illegal. The trial court denied his motion, concluding it did not state a claim for relief, but the Court of Criminal Appeals reversed, holding that the Bonds decision rendered the Petitioner’s sentence for the firearm conviction void and, thus, illegal under Rule 36.1. In accordance with this Court’s holding in Taylor v. State, 995 S.W.2d 78, 83-85 (Tenn. 1999), we hold that the Petitioner’s sentence was voidable, not void and illegal. Accordingly, we reverse the Court of Criminal Appeals’s decision and reinstate the trial court’s order denying the Petitioner’s motion.

Authoring Judge
Justice Cornelia A. Clark
Originating Judge
Judge Kyle C. Atkins
Case Name
State of Tennessee v. Terrell Lamont Reid
Date Filed
Dissent or Concur
No
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