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Criminal Law Keyed to Johnson
Commonwealth v. Hutchins
Facts
Joseph Hutchins (Defendant) was charged with possession of marijuana. Before trial, Defendant filed a motion to dismiss the complaint, arguing a defense of medical necessity. Defendant submitted affidavits, excerpts from his medical records, and literature on the medicinal uses of marijuana. Defendant intended to prove that he had been diagnosed with scleroderma, a chronic disease that results in the buildup of scar tissue throughout the body. No effective treatment or cure for the disease existed, and Defendant had experienced various debilitating symptoms as a result, including fatigue, nausea, vomiting, extreme pain while swallowing, and joint pain. Defendant informed his treating physicians that he had somewhat successfully used marijuana to alleviate his symptoms. Two of Defendant’s doctors expressed that marijuana use did appear to alleviate Defendant’s symptoms, although the doctors did not say that marijuana fully treated the disease. The doctors also stated that a scientific investigation into the possible use of marijuana to treat scleroderma would be justified. Defendant tried unsuccessfully to obtain either a marijuana prescription or permission to participate in a research study on the use of marijuana as a medical treatment. After evaluating the evidence, the trial court ruled that medical necessity was not a defense to Defendant’s charge, and Defendant was convicted. Defendant appealed.
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