Moore v. State
Moore v. State
Opinion
The appellant, Ricky Lawrence Moore, was charged by an Alabama Uniform Traffic Ticket and Complaint with driving or being in actual physical control of a vehicle while under the influence of alcohol. Apparently without any adjudication, the district court ordered this cause transferred to the circuit court, pursuant to Moore's request for a trial by jury. Thereafter, a jury found Moore guilty of driving under the influence, and he was sentenced to two weeks' imprisonment, his license was suspended, and he was fined $500 plus costs.
Moore contends that, absent an adjudication by the district court, the circuit court had no appellate jurisdiction. Contrary to the attorney general's assertion, we consider this to be a question of whether the circuit court had subject matter jurisdiction to hear Moore's case. "Jurisdiction of the subject matter in a criminal case is the power to hear and determine cases of the general class to which the particular case before the court belong." 22 C.J.S. Criminal Law § 149 (1989) (footnote omitted). "In respect of subject-matter, the court acquires jurisdiction by the act of its creation; it is inherent in the constitution of the court." Wolff v. McGaugh,
"[I]f a court ha[s] no jurisdiction, its action is void."State v. Johns,
Accordingly, the judgment of the circuit court is reversed and this cause is remanded to the circuit court for that court to remand the cause to the district court for further proceedings.
REVERSED AND REMANDED.
All the Judges concur.
Reference
- Full Case Name
- Ricky Lawrence Moore v. State.
- Cited By
- 6 cases
- Status
- Published