by Jamison Koehler on June 12, 2022

In accordance to the “Rule of Lenity,” a courtroom must construe any ambiguity in the language of a criminal statute in favor of the defendant. The stakes in a felony situation are superior. The pondering driving this rule of statutory development – also known as the “rule of rigorous construction” — is that you want to be be certain that the legislature genuinely intended to proscribe the perform in issue right before you upend a person’s existence with a felony conviction.
In two the latest viewpoints, the D.C. Courtroom of Appeals situations has interpreted software of this rule in the nation’s capitol. In In re Willie Richardson, __ A.3d. __ (D.C. 2022), for illustration, the appellant sought to utilize the theory to a circumstance in which he argued that 4 Fb messages he despatched in violation of a temporary safety purchase (TPO) constituted a single felony offense, not 4.
The Court described the existing condition of the legislation in D.C. as follows:
The rule of lenity states that criminal statutes ought to be strictly construed and that ambiguities must be resolved in favor of the defendant. However, this rule of statutory construction is activated only if we can initial say that a given statute’s language, composition, function and legistative leaves its which means genuinely in question. (Interior citations and quotations omitted.)
The D.C. Court docket of Appeals described the rule in identical fashion in a far more the latest case, Craig Lee v. United States, __ A.3d __ (D.C. 2022):
The rule of lenity is only employed to take care of ambiguity in penal statutes. The rule . . . can suggestion the balance in favor of prison defendants only the place, unique of the rule, a penal statute’s language, structure, purpose and legislative historical past leave its this means truly in question. Importantly, the rule is a secondary canon of building, and is to be invoked only in which the statutory language, structure, purpose, and historical past depart the intent of the legislature in legitimate doubt. (Inside citations and quotations omitted.).
In both circumstances, the Courtroom found that the rule did not use.
Justice Brett Kavanaugh also weighed in as portion of his concurrence in Shular v. United States, 140 S.Ct. 779, 789 (2020). The courts have to 1st use, he wrote, “all of the standard instruments of statutory interpretation.” Only then, if the statute continues to be “grievously ambiguous [such] that the courtroom can make no additional than a guess as to what the statute usually means,” will the rule of lenity implement.
