F-2011-866

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In OCCA case No. F-2011-866, Emanuel D. Mitchell appealed his conviction for Murder in the First Degree and Conspiracy to Commit a Felony (Robbery with a Dangerous Weapon). In a published decision, the court decided to reverse his convictions and remand the case for a new trial where Mitchell may have the chance to represent himself. One judge dissented. Mitchell was found guilty of serious crimes and was sentenced to life imprisonment for murder and additional years for conspiracy. He felt he was not being properly defended by his attorney and had asked multiple times to have his attorney replaced. Eventually, he requested to represent himself, expressing dissatisfaction with his legal counsel. The court found that Mitchell’s request to represent himself was clear and that he understood the risks of doing so. The court concluded that he had the constitutional right to self-representation, which had been violated when his request was denied. Although the court addressed other issues raised in Mitchell’s appeal, the main reason for the reversal was the denial of his right to represent himself. The dissenting opinion argued that the trial court acted correctly by not allowing Mitchell to self-represent due to his disruptive behavior during the trial process. In summary, the decision allows Mitchell another opportunity to conduct his own defense, considering that he properly requested this right before the trial proceedings were fully underway.

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F-2011-1062

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In OCCA case No. F-2011-1062, Scott Allen Phillips appealed his conviction for Lewd Molestation. In an unpublished decision, the court decided to affirm Phillips' conviction and sentence, but remanded the case for consideration of whether Phillips' sentence should be suspended. One judge dissented. Scott Allen Phillips was found guilty by a jury of Lewd Molestation, which is a serious crime involving inappropriate touching of a child. He was sentenced to 25 years in prison, during which he must serve at least 85% before he can be considered for parole. Phillips claimed there were several errors during his trial that should lead to his conviction being overturned. Phillips argued that the prosecutor presented too many instances of inappropriate touching without clearly stating which one he was being accused of for the charge. He also believed there wasn't enough evidence to support the conviction. Additionally, he stated that the judge's decision not to consider a less severe punishment for him was unfair because he exercised his right to a jury trial. Phillips raised multiple issues during the appeal. The court looked at arguments closely and decided that the prosecutor's actions were correct and that they followed the law. They found that there were enough facts for the jury to conclude that Phillips had molested the child. The judges pointed out that the jury's role is to decide who they believe and what evidence to trust. Regarding the sentencing process, the judges noted that the trial judge didn't consider Phillips' request for a lesser sentence. This became important because a judge is expected to think about such requests carefully, regardless of whether the defendant went to trial. This is why the court decided to give the case back to the lower court for a fresh look at Phillips' request for a suspended sentence. Another major point Phillips raised was his concern about how the trial was handled. He asked to speak with jurors after the trial ended, hoping to gather more insight about their decision. However, the court said this was not allowed because jurors cannot discuss their deliberations or decisions after the trial is over. The court also examined the use of videotaped evidence during the trial. Phillips complained that the videos of the alleged victim’s statements should not have been shown again to the jurors while they were discussing. However, the judges felt the decision to show the videos was acceptable and did not harm Phillips' chances at a fair trial. Ultimately, the judges concluded that they would not disturb Phillips' conviction since there was sufficient evidence and no significant errors during the trial that affected the outcome. However, they did want the lower court to look again at Phillips' request for a suspension of his sentence, ensuring he had a fair chance at having that request reviewed properly. In conclusion, the court affirmed the conviction and sentence while allowing the opportunity for reconsideration regarding the potential suspension of the sentence, which shows that even in serious cases, there are processes in place to ensure fair treatment under the law.

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F-2011-866

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In OCCA case No. F-2011-866, Emanuel D. Mitchell appealed his conviction for Murder in the First Degree and Conspiracy to Commit a Felony (Robbery with a Dangerous Weapon). In a published decision, the court decided to reverse and remand Mitchell's case for a trial where he may be allowed to represent himself. One judge dissented. This case began when Mitchell was found guilty of murder and conspiracy after a jury trial. He was sentenced to life in prison for the murder and 35 years for conspiracy, along with an additional 10 years for unauthorized vehicle use. Mitchell appealed, stating four main reasons why he believed his conviction should be overturned. First, Mitchell claimed that he was not allowed to represent himself during his trial, which he argued violated his rights. He believed he could defend himself better than his attorney. However, the court denied his request for self-representation, stating that it was not in his best interest. The court should have ensured that he was fully aware of the potential risks associated with representing himself before denying his request. Second, Mitchell argued that the laws applied to him during his murder prosecution were not supported by the evidence presented. He believed his rights were violated, which would require the court to dismiss the murder charge. Third, Mitchell stated that he was not allowed to present a full defense in court, suggesting that this was an unfair violation of his rights. Finally, he claimed that his attorney did not provide effective assistance, which is a right guaranteed by law. After reviewing all the information in the case, the court found that Mitchell's first argument was valid. It concluded that the trial court had wrongly denied his request to represent himself and that this mistake warranted a reversal of his conviction. They remanded the case back to the lower court so Mitchell could exercise his right to defend himself. Although the court found that the felony-murder charge against Mitchell was valid, and that there was no error in the jury instructions about the defenses, they acknowledged that these points were not the main issue due to the ruling on self-representation. Consequently, the matter about ineffective counsel was deemed moot. The final decision was to reverse the current judgments against Mitchell and send the case back to start fresh, allowing Mitchell the opportunity to represent himself.

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F 2012-294

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In OCCA case No. F 2012-294, Doris Jean Whitaker appealed her conviction for an unspecified crime. In an unpublished decision, the court decided to reverse her conviction and remand the case for a new trial due to a lack of adequate record on appeal. The State agreed with the decision, acknowledging that the failure to provide a trial transcript denied Whitaker her right to a meaningful review of her case. A dissenting opinion was not noted.

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F-2012-499

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In OCCA case No. F-2012-499, Richard Harold Bazemore appealed his conviction for Sexual Abuse of a Child (Counts I-VI) and Lewd or Indecent Acts With a Child Under Sixteen (Count VIII). In a published decision, the court decided to affirm his convictions but modified the presentence investigation fee to $250.00. One judge dissented.

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F-2012-437

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In OCCA case No. F-2012-437, Mark J. Lawler appealed his conviction for rape in the first degree. In an unpublished decision, the court decided to reverse and remand for a new trial. One judge dissented. Mark J. Lawler was found guilty of rape in the first degree by a jury and given a sentence of thirty-five years in prison. He claimed that the trial court made mistakes during his trial. First, Lawler thought he should have been allowed to represent himself instead of having a lawyer. He argued that this was his right under the Sixth Amendment of the U.S. Constitution. The court agreed with him, stating that he had clearly asked to represent himself at least five days before the trial, which was a reasonable request. The court also found that Lawler understood the risks involved in defending himself without a lawyer. The trial court was wrong to deny his request, so that was a significant error. Second, Lawler argued that he did not get a speedy trial, which is another right he had under the law. Although there were delays in the trial, the court found that they were not entirely Lawler's fault. The reasons for the delays included busy courts and other issues that were not intentional. However, the court also decided that Lawler did not show he was hurt by the delay, so they did not agree with his claim on this point. In summary, the court found that the trial court made a mistake by not allowing Lawler to represent himself. Because of this error, they reversed his conviction and sent the case back for a new trial.

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F-2012-168

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In OCCA case No. F-2012-168, Tommie Joe Moore appealed his conviction for Distribution of a Controlled Dangerous Substance, Possession of a Controlled Dangerous Substance, and Trafficking in Illegal Drugs. In a published decision, the court decided to affirm Moore's convictions but modified his fine on one count. One judge dissented. Moore was found guilty after a jury trial and received a sentence of twenty years for Distribution and a $25,000 fine, ten years for Possession and a $7,500 fine, and twenty-five years for Trafficking with another $25,000 fine. The sentences for the Distribution and Possession counts were ordered to be served at the same time, but the Trafficking sentence was to be served afterward. Moore raised several points in his appeal. He argued that the fine for the Distribution count was too high and that it should be corrected. He claimed that the jury should have been instructed about a lesser charge related to Possession and that he did not get a fair trial because of mistakes made during the trial, including some comments made by the prosecution. He also stated that the sentences he received were too harsh and should not have been served one after another, but at the same time. After reviewing all the evidence and arguments, the court agreed that the fine for the Distribution count was indeed too high and changed it to $10,000. However, the court found that there was no need for a lesser charge instruction, and that the prosecution's actions did not affect the fairness of Moore's trial. The sentences given to Moore were within legal limits, and the court did not think they were excessively harsh. In the end, the court affirmed Moore's convictions but made a change to reduce the fine in one of the counts. This meant that while the convictions stood, Moore would not have to pay the original high fine, and he could continue to serve his sentences as ordered.

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F-2011-407

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In OCCA case No. F-2011-407, Kevin Maurice Brown appealed his conviction for multiple counts of robbery and firearm possession. In an unpublished decision, the court decided to affirm his convictions on all counts except for one count of possession of a firearm, which was reversed. One judge dissented. Kevin Brown was found guilty of robbing several businesses in Tulsa, using a firearm during these crimes. The jury decided on severe punishment, including life imprisonment and hefty fines. The trial also took note of Brown's previous felonies, which influenced the decisions. During the case, issues arose regarding double punishment for two counts of firearm possession that were related to the same gun. Brown’s defense argued that charging him with both counts violated the principle against double jeopardy, which protects individuals from being punished multiple times for the same crime. The court agreed that the evidence showed he was being punished twice for the same offense, which is not allowed, and reversed the conviction for one of those counts. Brown also felt he didn’t receive good legal help during his trial because his lawyer didn’t challenge the double counting of the firearm charges. However, since one count was reversed, this concern was considered resolved. Additionally, Brown thought his sentences were too harsh, especially since no one was hurt in the robberies. The court stated that while the sentences were serious, they were within the law, and given his past convictions, they did not seem extreme or unjust. Brown submitted additional concerns in a separate brief, but these were not accepted because they did not follow required guidelines. As a result, the court denied those arguments. In summary, while Brown's convictions for robbery and firearms were mostly upheld, one of the firearm possession counts was overturned due to improper double punishment. The court found no errors significant enough to change his overall sentence, which reflected the severity of the crimes committed.

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F-2011-1019

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In OCCA case No. F-2011-1019, Timmy Howard Dickey appealed his conviction for Child Sexual Abuse. In an unpublished decision, the court decided to modify his conviction to Incest instead. Two judges dissented. Timmy Howard Dickey was tried by a jury and found guilty of Child Sexual Abuse. The trial occurred in the District Court of Caddo County, and the judge sentenced him to 5 years in prison. Dickey was charged with having sex with his 17-year-old niece, B.D. The charges came to light when B.D. reported to the police that Dickey had raped her. Dickey's main argument on appeal was about the definition of a person responsible for the health, safety, or welfare of a child. He claimed that the court didn't have enough evidence to show that he was in a position of responsibility for B.D. at the time of the incident, which was necessary for a conviction of Child Sexual Abuse according to the law. The court agreed with Dickey’s argument, stating that there wasn't enough proof that he was a custodian as defined by the law. The law categorized those responsible for a child’s welfare, and the court found that Dickey did not fit into these categories like parents or legal guardians do. Since the legal definition of custodian requires formal authority granted by a court, and Dickey did not have such authority, the court found his conviction for Child Sexual Abuse could not stand. Even though they found insufficient evidence for that specific charge, the court acknowledged that Dickey did commit a serious crime against B.D. They indicated that it would be more fitting to change his conviction to Incest, recognizing that Dickey admitted to having consensual sex with B.D. during an interview after the incident. Ultimately, the court decided to change Dickey's conviction from Child Sexual Abuse to Incest but kept the sentence at 5 years of imprisonment. The decision was made to send a strong message about the seriousness of the crime. In conclusion, Dickey's charge was modified to recognize the seriousness of his actions, but technically, he was incorrectly charged at first. The judges had different opinions on the case, with two of them disagreeing with the court's decision to alter the conviction.

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F 2011-1045

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In OCCA case No. F 2011-1045, Joshua Paul Nosak appealed his conviction for first-degree manslaughter, leaving the scene of a fatal accident, driving without a driver's license, and assault with a dangerous weapon. In an unpublished decision, the court decided to affirm his convictions but ordered that the case be sent back to fix a mistake in the sentencing. One judge disagreed with the decision. Nosak was found guilty of serious crimes after a jury trial. The jury decided he was guilty of first-degree manslaughter for driving while impaired and also found him guilty of leaving the scene of an accident after someone died. He was sentenced to a total of 50 years in prison for the manslaughter charge and received additional time and fines for the other offenses. Nosak's appeal raised several arguments. First, he believed that the court should not have allowed a specific charge against him because the underlying misdemeanor wasn't strong enough to support the manslaughter charge. However, the court found that this didn't really hurt his case because the jury found him guilty on other grounds. Second, Nosak argued that the court allowed bad evidence to be presented, which shouldn't have been allowed. The court found that he didn't object to this during the trial, so they couldn’t rule on it unless it was obviously wrong and affected his rights, which they determined it did not. Third, he claimed that he didn’t get good help from his lawyer. However, the court said that because the evidence against him was very strong, he could not show that he was harmed by any mistakes made by his attorney. The fourth point was about correcting mistakes in the court's decision regarding his punishment. The court accepted that there were errors in the sentencing order and decided to send the case back to fix them. Finally, Nosak argued that the many errors combined made it impossible for him to have a fair trial. But the court found that there were no individual mistakes that were serious enough to change the trial's outcome. In conclusion, the decision meant that while Nosak's convictions were upheld, the court would correct the sentencing mistakes before finalizing the case. One judge disagreed with this conclusion, but the others agreed with the majority opinion.

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F-2011-684

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In OCCA case No. F-2011-684, Harold Robert Walker, Jr. appealed his conviction for Driving a Motor Vehicle While Under the Influence of Drugs (Second Offense), Possession of Controlled Substance (Marijuana) (Second Offense), and Carrying a Concealed Weapon. In an unpublished decision, the court decided to affirm the termination of Walker's participation in the Drug Court program, but it remanded the case to correct sentences that exceeded the maximum punishment allowed by law. One justice dissented on the issue of resentencing.

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F-2011-1054

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In OCCA case No. F-2011-1054, Michael Don Bryant appealed his conviction for Grand Larceny. In a published decision, the court decided to affirm Bryant's conviction and sentence but ordered that his Judgment and Sentence be corrected to accurately reflect the crime he was convicted of. One judge dissented. Michael Don Bryant had a trial by jury and was found guilty of Grand Larceny in Logan County. He was sentenced to one year in prison and had to pay a fine. After the trial, Bryant appealed, claiming a few mistakes happened during his trial. First, he said that the prosecutor made some unfair comments during closing arguments that hurt his chances of a fair trial. Bryant believed that the way the prosecutor spoke about his defense was wrong and led the jury to be biased against him. However, the court did not agree that these comments made the trial unfair. Second, he argued that a police officer gave evidence that should not have been allowed in the trial. The officer talked about the surveillance cameras and the cables that were involved in the case. Again, the court found that while the officer's comments might have seemed odd, they did not prove to be a big mistake in the trial. Lastly, Bryant pointed out that there was a problem with the official documents after his trial. The papers said he was convicted of embezzlement, but he was actually found guilty of Grand Larceny. Bryant wanted the court to fix this mistake and to make sure he got credit for time he had already served in jail. The court agreed that there was a mistake in the official documents and sent the case back to fix the paperwork. However, they kept Bryant's conviction and sentence the same.

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F 2011-1043

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In OCCA case No. F 2011-1043, Ricky Carlos Colbert appealed his conviction for assault and battery on a police officer and larceny of merchandise from a retailer. In an unpublished decision, the court decided to affirm the convictions but ordered the case to be sent back to correct the judgment and sentence to show the correct crime of assault and battery on a police officer. One judge dissented. Colbert was found guilty of assaulting a police officer after he was identified during a video of the crime. He raised several arguments for his appeal, including ineffective assistance of counsel, errors in jury instructions, introduction of evidence, prosecutorial misconduct, inaccuracies in his sentence, and cumulative errors. The court carefully examined each argument. 1. For the first point, the court decided that Colbert's lawyer did not provide ineffective assistance. They felt his strategy in the case was acceptable, even if it didn't work out as planned. The lawyer's decision to dispute Colbert's identity rather than claiming he committed a lesser crime was valid, according to the court. 2. For the second point about not instructing the jury on a lesser offense, the court found that Colbert did not ask for this instruction, so they only looked for obvious errors (plain error). They concluded there was no plain error. 3. Regarding evidence, the court said the video of the crime was properly introduced, as there were no objections during the trial. 4. On the issue of prosecutorial misconduct, the court found no serious wrongdoing from the prosecutors. 5. The fifth point involved many mistakes in the judgment, which required a remand to correct records to indicate the correct conviction. 6. Lastly, the court found there were no individual errors that required relief, so cumulative error claims were not valid. Overall, the court concluded to send the case back for corrections but allowed the original convictions to stand. Colbert’s request for a hearing about his lawyer’s effectiveness was also denied.

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F-2012-112

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In OCCA case No. F-2012-112, Gene Freeman Price appealed his conviction for First Degree Burglary. In a published decision, the court decided to reverse and remand for a new trial. One judge dissented. Gene Freeman Price was found guilty of breaking into a building with the intention of committing a crime. He was given a sentence of twelve years in prison. However, Price argued that he did not fully understand his rights before he decided to represent himself in court instead of having a lawyer help him. The court looked closely at the case. They believed the trial court did not do a good job explaining to Price the risks of going to court alone without a lawyer. This meant that Price could not have truly given up his right to a lawyer because he didn't really understand what that meant. The judges decided that because of this mistake, Price's right to have a lawyer was violated. Since this was such a serious error and affected the whole case, the court said they could not ignore it. They ruled that the earlier decision needed to be thrown out, and Price should get a new trial where he could have a lawyer help him.

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F-2011-1047

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In OCCA case No. F-2011-1047, Melvin Edward Dan appealed his conviction for robbery with a dangerous weapon, burglary in the first degree, and possession of a firearm after previous juvenile adjudication for a felony. In an unpublished decision, the court decided to affirm the convictions for robbery and burglary, but reverse the conviction for possession of a firearm. One judge dissented.

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F-2011-671

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In OCCA case No. F-2011-671, Cruz appealed his conviction for Assault and Battery with a Dangerous Weapon. In an unpublished decision, the court decided to affirm his conviction and sentence. One judge dissented. Cruz was found guilty because he used a knife to attack another person. The main question was whether he acted in self-defense. The jury believed that Cruz was the aggressor and that the victim was unarmed when he was attacked. Cruz said he acted in self-defense, but the court found that the jury had enough evidence to support their decision that he did not qualify for this defense. Cruz raised several issues in his appeal. Firstly, he claimed that the evidence was not strong enough to convict him. However, the court said that the evidence was enough for a reasonable person to conclude that he was guilty without self-defense. Next, Cruz said there was a problem with how the jury was chosen and that it affected the trial. The court disagreed and said that the trial judge acted correctly when explaining how long the trial would take. Cruz also mentioned that he should have been credited for the time he spent in jail before the trial. The court agreed that this was an important point but noted there was no written record of this credit. However, they decided the case should be sent back to the lower court to correct this and make sure he received proper credit. He argued about the restitution order, saying the court should have determined how much he needed to pay. The court stated there was no error because a hearing was scheduled to decide on restitution after he was released. Cruz felt that the sentence he received was too harsh and that the fee for his attorney was excessive. The court ruled that the sentence was fair considering the crime and that the attorney fee would be reviewed later to check if it needed to be lowered. Lastly, Cruz claimed all the mistakes added up to mean he did not have a fair trial. The court ruled there were no real errors, so this point did not apply. In conclusion, the court confirmed the conviction and sentence but ordered that Cruz's sentence be revised to include credit for time served.

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F-2011-877

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In OCCA case No. F-2011-877, Dennis Lynn Miller appealed his conviction for multiple offenses, including child sexual abuse, first-degree rape, forcible oral sodomy, attempted first-degree rape, kidnapping, assault with a dangerous weapon, and intimidation of a witness. In an unpublished decision, the court decided to affirm his convictions for counts one through six and eight, while reversing and remanding count seven for dismissal. One judge dissented. Miller was convicted after a jury trial in Muskogee County, where he faced serious accusations of abusing his adoptive daughter, L.M. The abuse began when L.M. was around thirteen years old, involving both physical violence and sexual acts that lasted for several years. Miller's conduct included threats of violence to control L.M. during these acts, which left her frightened and unwilling to report the abuse. L.M. eventually confided in a friend, and authorities were contacted, leading to a police investigation that confirmed multiple instances of abuse. Although Miller challenged the admissibility of certain evidence related to his past behavior and the sufficiency of the evidence supporting his convictions, the court determined that the substantial evidence supported the jury's decisions. The court acknowledged that some evidence may not have been properly objected to during trial, but found that the lack of objections by defense counsel did not significantly harm Miller's case, as the victim's testimony was clear and credible. The court ultimately ruled that Miller's conviction for assault and battery with a dangerous weapon should be reversed as the evidence did not support that a dresser was used in a manner that constituted a dangerous weapon. In summary, the court upheld most of Miller's convictions while dismissing one, citing the overwhelming evidence against him and the credibility of the victim's testimony.

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F-2012-212

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In OCCA case No. F-2012-212, Bryce Andrew Davis appealed his conviction for Aggravated Assault and Battery. In an unpublished decision, the court decided that the District Court abused its discretion in ordering restitution, and they remanded the case for modification of the restitution order. One member of the court dissented. The case began when Bryce Andrew Davis entered a plea to the crime of Aggravated Assault and Battery against a minor at a Walmart store. The minor suffered serious injuries, including a crushed cheekbone and an orbital wall fracture, needing significant medical treatment. After Davis completed a rehabilitation program, a hearing was held to determine the amount of restitution he would have to pay to cover the victim's expenses. The court ordered Davis to pay a total of $30,528.43 in restitution, which was meant to cover the victim's medical expenses, lost wages of his parents due to caring for him, travel costs for doctor visits, and fees for copying records. However, Davis argued that the restitution amount was too high and that the court had exceeded its authority by not limiting the amount to the actual economic loss suffered by the victim. The law states that restitution is only supposed to cover actual financial detriment suffered by the victim, meaning help for their real costs like medical bills that have to be paid out of pocket. Davis pointed out that the amount awarded to the victim included expenses that were not certain, such as lost wages for the victim's father and future medical costs. After reviewing the evidence and the court's decisions, the appellate court found that the trial court did not calculate the restitution correctly. They realized that the court had used the total medical bills before insurance adjustments, which was not allowed. Instead, they should have calculated the actual amount paid by the family, which was much lower. The court modified the restitution order to reflect three times the actual economic damage for medical costs, reducing that portion of the restitution significantly. They also struck down the father's lost wages because there was not enough proof to support the amount claimed. The future medical costs award was also removed because they were too uncertain and speculative. The decision outlined the need for a clear basis for any loss that a victim claims, stating that the evidence must be strong enough to establish real losses. The court upheld other parts of the restitution order, which were justified. In summary, the court found that while the victim suffered injuries and needed help, the original calculations for restitution went beyond what was allowed by law, leading to significant modifications in the amount that Davis would have to pay. They ordered adjustments to ensure that restitution reflected actual, proven losses.

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F-2011-568

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In OCCA case No. F-2011-568, Gary Patrick Ciancio, Jr. appealed his conviction for Child Abuse by Injury. In an unpublished decision, the court decided to affirm his conviction but modified his sentence. One judge dissented. Ciancio was found guilty of hurting a child, identified as C.D. He was accused of causing burns on C.D.’s hand with a cigarette lighter and hitting C.D. with a belt, leading to severe bruises. The jury sentenced him to 25 years in prison along with a fine. Ciancio argued that his trial was not fair because the court allowed evidence that showed his bad character and past actions that were unrelated to the charges. He also claimed that his lawyer did not help him properly during his trial because the lawyer did not challenge these pieces of evidence. During the trial, C.D. testified that Ciancio was responsible for his injuries and described different ways Ciancio had punished him in the past. Ciancio denied causing the injuries, saying they were accidental. His defense included claims that C.D. got hurt while playing. The court allowed many pieces of evidence that painted Ciancio in a negative light but were not directly related to the specific charges against him. Ciancio's appeals were based on these issues, saying they made his trial unfair. The court noted that while there was a lot of damaging evidence presented against Ciancio, the key facts still proved he was guilty. However, the blend of improper evidence and the lack of objection from Ciancio's lawyer led the court to feel that the sentence might have been unfairly harsh. The court decided that because of the ineffective assistance from his lawyer, Ciancio's sentencing should be reduced from 25 years to 15 years. In conclusion, Ciancio’s conviction was upheld, but his time in prison was reduced due to problems with how his trial was handled.

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F-2011-656

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In OCCA case No. F-2011-656, Jason Kenneth Dimaggio, Jr. appealed his conviction for multiple crimes, including robbery and assault. In an unpublished decision, the court decided to reverse one conviction but affirmed all others. One judge dissented. Jason Dimaggio was found guilty of several offenses that occurred during a violent crime spree in two Oklahoma counties. His crimes included robbery with a weapon, assault with a dangerous weapon, and other charges. He received lengthy sentences, with some of them being consecutive, meaning he would serve them one after another. During the appeal, Dimaggio argued that he didn't get a fair trial for several reasons. He claimed that some evidence about other crimes should not have been allowed, and that he was denied the chance to confront witnesses due to hearsay evidence. His main points included: 1. Other-crimes evidence was presented improperly. 2. Hearsay evidence was used against him. 3. The trial court allowed irrelevant photographs of him to be shown to the jurors. 4. There was misconduct by the prosecutor. 5. The jury was incorrectly instructed about his flight after crimes. 6. The combined effect of errors denied him a fair trial. 7. The court should not have ordered his sentences to be served consecutively. 8. He was unfairly punished multiple times for the same conduct. 9. The evidence did not support some of his convictions. The court reviewed all these claims and found that the evidence about earlier crimes was acceptable as part of the overall story of the events. Although there were issues with some evidence, like the photographs, the judges felt the impact on the trial was not significant enough to change the outcome because there was strong evidence against Dimaggio from witnesses. Regarding the prosecutor’s comments during the trial, the court noted that errors weren’t severe enough to matter because they were not objected to at the time. They also agreed that the jury's instruction about flight wasn't appropriate, but again, it didn't affect the strong evidence of guilt. Dimaggio’s claims of double jeopardy (being punished twice for the same crime) regarding his convictions for assault and fleeing from a police officer were not supported. The court ruled that the crimes were separate and had different elements. However, the court did agree that he should not be convicted for possession of a controlled substance because it was part of the robbery and should not have been counted as a separate crime. Thus, that conviction was reversed. In conclusion, except for the reversed conviction, the court upheld Dimaggio's multiple sentences and affirmed the trial court’s decisions in all other respects.

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F 2011-858

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In OCCA case No. F 2011-858, Jesus Ceniceros, Jr. appealed his conviction for multiple counts related to drug trafficking and distribution. In an unpublished decision, the court decided to reverse and remand two of the convictions while affirming the rest. One judge dissented. Jesus Ceniceros was tried and found guilty of eight counts involving illegal drug activities in Pottawatomie County. His charges included serious crimes like aggravated trafficking in illegal drugs, trafficking in illegal drugs, and unlawful distribution of methamphetamine. For these convictions, he received long sentences, some requiring him to serve 85% before being eligible for parole, along with hefty fines. After his trial, Ceniceros raised some points in his appeal. First, he argued that the search warrant used for police to search his home did not follow the rules set by Oklahoma law. However, the court found the warrant was good enough to let the police find the place to search without needing any extra information. Next, Ceniceros suggested that the trafficking and distribution counts should combine into one charge. He claimed he was being punished twice for the same act. The court agreed that this was a mistake and that it wasn’t fair to punish him separately for those charges because they were related to the same crime. Lastly, Ceniceros claimed that the sentences he received were too harsh. The court examined this but found the punishments were acceptable under the law and did not seem overly severe. As a result of these discussions, the court decided to throw out two of his convictions for distribution of controlled dangerous substances but kept the other convictions. The court concluded that his sentences were appropriate and upheld them, stating that the trial judge acted correctly by making the sentences run one after the other instead of at the same time. This summary highlights the main points of the case and the court’s final decisions.

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F-2011-366

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In OCCA case No. F-2011-366, Tony Ray Gipson appealed his conviction for First Degree Malice Murder. In an unpublished decision, the court decided to affirm the conviction but vacate the sentence of life imprisonment without the possibility of parole and remand the case for resentencing. One judge dissented. Tony Gipson was found guilty of murdering Victor Berryhill by stabbing him multiple times during an argument at a housing complex. The argument arose after tensions escalated between Gipson's brother and Berryhill. Earlier in the night, Gipson had an altercation with his girlfriend, after which he left. When he returned, he saw his brother involved in an argument with Berryhill, which prompted him to stab Berryhill before kicking him. During the trial, Gipson tried to argue that he was acting in defense of his brother, claiming that he was provoked. He raised several issues on appeal, including a challenge to the state’s jurisdiction based on his Indian heritage and the property being classified as Indian country. The court found that the property did not meet the criteria to be considered Indian country under federal law, concluding that the state had jurisdiction to prosecute Gipson. Gipson also argued that the trial court erred in excluding certain statements made by his co-defendant, but the court determined that these statements were not reliable or relevant. The court found no abuse of discretion regarding jury instructions on self-defense or the admission of evidence regarding a prior domestic dispute involving Gipson, even though this evidence may have harmed his chances during sentencing. Ultimately, the court upheld the conviction but decided that Gipson's harsh sentence was likely influenced by the improper admission of evidence relating to his character, which led to the decision to vacate the sentence and order resentencing.

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F-2011-4

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In OCCA case No. F-2011-4, Dara D. Payton appealed her conviction for Driving a Motor Vehicle While Under the Influence of Drugs, Second and Subsequent Offense. In an unpublished decision, the court decided to affirm the order of deferment from the District Court. One judge dissented. Payton was found guilty after a bench trial, which is a trial without a jury. The judge decided not to give her a final judgment or sentence right away, instead deferring it for five years. Payton appealed this decision, raising three main points. First, she argued that her arrest should not have happened because it was made outside the officer's jurisdiction, and the officer did not follow the rules for making a citizen's arrest. Second, she claimed that she should not have to pay certain costs and fees because she relies only on disability benefits for her income. Third, she said the written order of deferment did not match what the judge said in court. The court found that Payton's arrest was legal. Even though the officer was outside his normal area, the court believed he was justified in his actions due to fresh pursuit, meaning he was actively following Payton because he saw her breaking the law. The judge stated that the officer followed Payton, observed her erratic driving behavior, and called for more help when Payton could not pass a sobriety test. The arrest was determined to be lawful under the circumstances. Regarding the costs and fees Payton questioned, the court said it could not decide the issue because she had not properly followed the procedures to dispute them. Payton did not request a hearing or show evidence about her financial situation to the court, making it unclear if the costs should be adjusted. For the written deferment order, the court acknowledged that it did not accurately represent what the judge had said. They decided to send the case back to the District Court to fix these errors so that the written order matched what the judge had pronounced in court, specifically that the deferment period would end on December 11, 2015, and that the supervision by the district attorney would only last for the first two years. In summary, while the court agreed with the deferment and found Payton's arrest valid, they also recognized the need to correct the written order to reflect the judge's original statements properly. The judge's conclusions about the case led to an affirmation of the deferment but a remand for the clerical corrections.

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F-2010-1237

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In OCCA case No. F-2010-1237, James Lee Gilford, Jr. appealed his conviction for robbery with a weapon, assault and battery with a dangerous weapon, assault while masked or disguised, and first-degree burglary, each after prior felony convictions. In an unpublished decision, the court decided to reverse his convictions for assault and battery with a dangerous weapon and assault while masked or disguised but affirmed his convictions for robbery with a weapon and first-degree burglary. One judge dissented regarding the reversal of one of the convictions. The case began when Gilford was tried by a jury and convicted on several counts. The jury decided that Gilford should spend life in prison for each count, and the sentences were ordered to be served one after the other. Gilford appealed, raising several issues, including concerns about jury selection, due process, multiple punishments for the same act, and inaccuracies in his judgment and sentence. 1. **Jury Selection**: Gilford argued that the prosecutors unfairly removed minority jurors. The court found that the prosecutor had provided good reasons for these removals, and Gilford did not prove any discrimination occurred in the jury selection process. 2. **Due Process Rights**: Gilford claimed he was denied a fair trial because the state didn't share some important information about a key witness. However, the court determined that this did not affect the outcome of the trial significantly. 3. **Multiple Punishments**: The court analyzed whether Gilford's convictions were for separate crimes or for just one act. Gilford's robbery, where he stabbed the victim and took his things, was connected to assaults he committed during that event. The court decided that the assault and battery charges arose from the same action as the robbery and therefore fell under laws that prevent punishing someone twice for the same act. 4. **Judgment and Sentence Issues**: Since the court reversed the assault charges because they were multiple punishments for a single act, they found that any inaccuracies in the sentencing for those charges didn't matter anymore. The final decision was that Gilford's sentences for robbery with a weapon and first-degree burglary would stay, while the court ordered the other two charges to be dismissed due to legal protections against multiple punishments. There was a dissenting opinion by one judge who felt that the conviction for assault while masked should not have been reversed.

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F-2011-563

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In OCCA case No. F-2011-563, Ronnie Lee Martin appealed his conviction for Trafficking in Illegal Drugs After Former Conviction of Three Felonies. In an unpublished decision, the court decided to reverse the conviction and remand for further proceedings consistent with the opinion. One judge dissented. Ronnie Lee Martin was found guilty after a bench trial, meaning there was no jury, and received a life sentence without the chance for parole. Martin's case stemmed from a traffic stop where drugs were discovered in his possession. The police officer who stopped the car noticed Martin acting suspiciously and later found a substantial amount of crack cocaine during a search of Martin's belongings. Initially, Martin was charged with possession of cocaine with the intent to distribute, which could have resulted in a sentence of four years to life. However, a plea deal of ten years was offered but not accepted due to Martin's attorney advising against it. Later, after more evidence was presented, Martin was charged with the more serious crime of trafficking, which led to a mandatory life sentence without parole. Martin claimed his attorney failed to provide effective counsel, particularly in advising him about the plea deal. The court found his attorney's performance to be deficient, as he did not read important documents that would have clarified the seriousness of Martin’s situation. Additionally, the attorney failed to prepare properly for both pretrial motions and the trial itself. The court looked at the history of Martin's defense lawyer and noted that this attorney had been previously disciplined for ineffective practices, which raised concerns about Martin's representation throughout the trial. The judge stated that Martin was denied a fair trial, and as a result, the court had no choice but to reverse the conviction and send the case back for a new trial. In summary, the court determined that due to many errors made by Martin's lawyer, he did not receive sufficient legal representation, and therefore, his convictions could not stand. Martin’s journey through the legal system was marked by these failings, which ultimately led to the court's decision to give him another chance to defend himself properly.

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