People v. Chenoweth

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Acting under power of attorney, Chenoweth sold her stepmother’s house in 2005 and used most of the money for personal expenses. Chenoweth was charged in 2009 and convicted of financial exploitation of an elderly person, 720 ILCS 5/16-1.3(a). She sought dismissal under the standard three-year period of limitations (720 ILCS 5/3-5(b), arguing that the indictment failed to allege any circumstances that would have placed the indictment within the one-year extended limitations of 720 ILCS 5/3-6(a)(2). The court rejected her arguments and she was sentenced to four years’ probation, and ordered to pay $32,266 in restitution. The appellate court vacated the conviction, holding that the extended period of limitations (720 ILCS 5/3-6(a)(2)) had expired prior to prosecution. The Illinois Supreme Court reversed, holding that the one-year extended period of limitations commenced on January 22, 2009, when the Adams County State’s Attorney became aware of the offense when he received the police investigation file. The legislature enacted section 3-6(a) specifically to deal with the offender who has successfully avoided detection of a breach of fiduciary obligation for the term of the general time limitation. View "People v. Chenoweth" on Justia Law