Idaho Supreme Court

State v. Bujak

July 1, 2024551 P.3d 771

Summary

The Idaho Supreme Court affirmed the district court’s denial of Bujak’s motion for credit for time served, holding that Idaho statutes §18‑309 and §19‑2603 do not apply to his probation‑related jail time and that the district court’s interpretation of its probation order—requiring thirty 24‑hour days—was reasonable. The Court applied plain‑meaning statutory construction and gave deference to the trial court’s order interpretation.