Question juridique clé
Whether the cantonal appellate court was competent to order post-sentence inpatient therapy under Art. 59 in conjunction with Art. 65(1) StGB.
Solution extraite
The appellate court remained competent because the proceedings had been initiated as a revision-type procedure under Art. 65(2) StGB; the later remand did not extinguish that competence.
Motifs extraits
Where proceedings were validly opened before the appellate court as the authority competent for post-sentence dangerousness review under Art. 65(2) StGB and the Federal Supreme Court remanded the case, the same court may, within the reopened proceedings, order the less severe inpatient measure.