State v. Wagoner, 199 N.C. App. 321 (Sept. 1, 2009)

aff’d, 364 N.C. 422 (Oct. 8, 2010)

In a case in which there was a dissenting opinion, the court rejected the defendant’s argument that the trial court erred in imposing SBM when SBM was not addressed in the defendant’s plea agreement with the State.

There was dissenting opinion in this case.