On August 5, 2016, the supreme court issued its Opinion, in which it held that: (1) this court correctly determined that HRS Chapter 291D did not apply to Godines' case; however (2) this court erred in denying Godines' request for transcript costs on the basis that she was not a criminal defendant under HRS § 802-7. State v. Godines, 138 Hawai'i 243, 254, 378 P.3d 959, 970 (2016). Thus, the supreme court remanded the case to this court and instructed that we "consider Godines' request under HRS § 802-7 and determine whether she is entitled to waiver of her transcript costs."