Tant v. South Carolina Dept. of Corrections

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Following his conviction for one count of assault and battery of a high and aggravated nature (ABHAN), one count of possession of a dangerous animal, and multiple counts of animal fighting, David Tant was remanded to the Department of Corrections. Upon receipt of his sentencing sheets, the Department recorded his sentence as fifteen years' imprisonment. However, the Department later determined the judge intended to sentence Tant to forty years' imprisonment and changed its records without notifying Tant. The issue this case presented to the Supreme Court was whether the Department of Corrections had the authority to alter its initial determination as to the length of an inmate's sentence. The Court held that when the Department decides its original recordation of a sentence was erroneous, it must afford the inmate formal notice of the amended sentence and advise him of his opportunity to be heard through the grievance procedure. Furthermore, "the Department is generally confined to the face of the sentencing sheets in determining the length of a sentence, but may refer to the sentencing transcript if there is an ambiguity in the sentencing sheets." Because the Court found that the sentencing sheets and the transcript in this case were ambiguous, it held Tant's sentences ran concurrently for a total of fifteen years' imprisonment. View "Tant v. South Carolina Dept. of Corrections" on Justia Law