In Re Necessity for the Hospitalization of Mark V.

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In 2011 the superior court entered a 30-day involuntary civil commitment order for Mark V. after the court conducted an evidentiary hearing and found that Mark posed a "substantial risk . . . of harming others." Mark argued on appeal that the court erred in that finding. Because his period of commitment under that order has expired and Mark was soon released from custody, his appeal was technically moot. But he argued that the collateral consequences exception to the mootness doctrine nonetheless justified appellate review of the commitment order. The circumstances (including four civil commitment orders entered against Mark earlier in 2011 and the absence of any indication that the November 2011 commitment will result in any additional adverse collateral consequences) convinced the Supreme Court that the exception was not satisfied. The Court therefore did not reach the merits of Mark's appeal and dismissed it as moot. View "In Re Necessity for the Hospitalization of Mark V." on Justia Law