Supreme Court of Georgia

State v. Shropshire

December 19, 2023318 Ga. 14

Summary

The Supreme Court of Georgia held that a unit‑of‑prosecution analysis governs merger of multiple counts of the same offense, while a required‑evidence analysis governs merger of distinct offenses such as aggravated child molestation and child molestation. Accordingly, the Court vacated the Court of Appeals’ merger ruling and remanded for reconsideration using the correct analyses.