Supreme Court of Arkansas
David Lee Lewis, Appellant v. Ray Hobbs
October 2, 20142014 Ark. LEXIS 523
Summary
The court affirmed the denial of Lewis's petitions for declaratory judgment and mandamus challenging the calculation of his parole eligibility and good-time credit. It held that his aggravated-robbery sentence was parole-ineligible, while parole eligibility on his consecutive first-degree-battery sentence required service of the full aggravated-robbery sentence plus three-fourths of the battery sentence, subject to applicable good-time credit. Because Lewis did not show that the Department of Correction miscalculated his eligibility date, he established no basis for either requested remedy.