Heinemann v. State

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The Supreme Court affirmed the district court’s entry of an order nunc pro tunc correcting two judgments entered against Defendant in 1998. The Court held (1) the district court had jurisdiction to enter the order nunc pro tunc irrespective of whether the Department of Corrections had standing to challenge the erroneous judgments; (2) there was no merit in Appellant’s claim that the Department of Corrections was required to seek reimbursement pursuant to Wyo. Stat. Ann. 7-6-108; and (3) as to Defendant’s remaining issues on appeal, he provided no cogent argument or pertinent authority to support either of his claims, and therefore, this Court will not consider them. View "Heinemann v. State" on Justia Law