Cases | State v. Krohn, 643 N.W.2d 874 (Wis. Ct. App. 2002) | 2018
The defendant pled no contest to three counts of burglary, and was ordered to pay restitution in the amount of $24,374.10. Thereafter, he moved to vacate the restitution order, arguing that the circuit court failed to determine restitution within the statutory time limit after sentencing. The circuit court denied the motion, and the defendant appealed. The Court of Appeals of Wisconsin affirmed in part and reversed in part, remanding for a proper restitution determination and order. The court concluded that the circuit court “failed to comply with any of the ‘four separate, alternative procedures to be used by courts in cases where restitution is ordered and the amount, for whatever reason, is unable to be determined at the sentencing hearing.’”