Nebraska Supreme Court

State ex rel. Counsel for Dis. v. Glass

October 24, 2025320 Neb. 201

Summary

The court reviewed the stipulated factual record de novo and concluded that the respondent’s repeated DUI offenses, misuse of law-enforcement authority while serving as an elected county attorney, and related misconduct warranted disbarment. It made the disbarment effective retroactively only to July 6, 2024, the date of the respondent’s third DUI, because his continued misconduct did not justify credit for his earlier temporary suspension. The court also clarified that credit for time suspended or for the duration of disciplinary proceedings is not presumed.