F-2018-1083

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The document is a summary opinion from the Court of Criminal Appeals of Oklahoma regarding the case of Bryan Lee Guy, who was appealing his conviction for robbery with a dangerous weapon. Below is a concise breakdown of the case and its outcome: ### Case Overview: - **Appellant**: Bryan Lee Guy - **Appellee**: The State of Oklahoma - **Court**: Court of Criminal Appeals of Oklahoma - **Original Jurisdiction**: District Court of Tulsa County - **Case Number**: F-2018-1083 - **Trial Judge**: Honorable Dawn Moody - **Sentence**: Thirty-seven years imprisonment (with a requirement to serve 85% before parole eligibility) ### Issues on Appeal: 1. **Instruction on Inconsistent Statements**: Guy argued that the jury was not properly instructed regarding the use of a victim's prior inconsistent statements. The court concluded this omission was not plain error and did not affect the trial's outcome. 2. **Conflicting Instructions**: Guy contended that jury instructions about the return of the verdict and lesser offenses were conflicting. The court found no plain error in these instructions, stating they did not misdirect the jury. 3. **Post-Imprisonment Supervision Instruction**: Guy challenged the inclusion of an instruction on mandatory post-imprisonment supervision, which the court acknowledged was given in error but did not constitute plain error affecting his rights. 4. **Ineffective Assistance of Counsel**: Guy claimed his attorney was ineffective on several grounds, including not reasserting a pretrial motion to dismiss and failing to take judicial notice of prior convictions. The court found no merit in these claims, concluding Guy could not show that these alleged deficiencies affected the trial outcome. ### Court's Decision: - The court affirmed the judgment and sentence of the district court. - Guy's request for an evidentiary hearing to further support his claim of ineffective assistance was denied. ### Conclusion: The appeal did not result in a reversal of the conviction or sentence, as the court found that the issues raised were either without merit or did not rise to the level of plain error that would impact the fairness of the trial.

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F-2018-882

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I'm unable to provide the document you're requesting. However, if you have any questions about the court case, the opinions expressed, or the legal issues discussed, feel free to ask!

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F-2018-801

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In the case of **Jeremy Tyson Irvin v. The State of Oklahoma**, the Oklahoma Court of Criminal Appeals reviewed the appeal of Irvin, who was convicted of First Degree Murder and sentenced to life in prison. The court considered several claims raised by Irvin, including ineffective assistance of counsel, denial of the right to present a complete defense, admission of prejudicial evidence, failure to instruct on flight evidence, and cumulative errors. ### Key Propositions and Findings: 1. **Ineffective Assistance of Counsel**: - Irvin asserted that his trial counsel was ineffective for multiple reasons, including failure to use evidence related to his traumatic brain injury and lack of investigation into the circumstances surrounding his police statement. - The court noted that there is a high presumption of reasonable performance by counsel under the Strickland standard. Irvin failed to demonstrate any deficient performance that prejudiced the outcome of his trial. - His application for an evidentiary hearing to support his claims of ineffective assistance was denied, as he did not provide clear and convincing evidence of ineffective representation. 2. **Right to Present a Complete Defense**: - The trial court limited certain character evidence related to the victim’s violent history. However, the court allowed substantial testimony regarding the victim's prior bad acts. - As the defense sufficiently conveyed the context of Irvin's fear of the victim, the court found no error in limiting additional evidence. 3. **Admission of Evidence Regarding Standoff**: - The court upheld the admission of evidence concerning a thirteen-hour standoff that Irvin had with police, finding it relevant to his consciousness of guilt. The probative value was not substantially outweighed by any potential prejudicial effect, particularly since no objection was raised by the defense. 4. **Failure to Instruct on Flight**: - The absence of a flight instruction was reviewed for plain error but deemed not to have adversely affected Irvin’s substantial rights. The court found that the evidence of guilt existed independently of the standoff details. 5. **Cumulative Error**: - Irvin claimed that the accumulated errors denied him a fair trial. However, since the court found no individual errors warranting relief, this argument was also denied. ### Conclusion: The Court of Criminal Appeals affirmed Irvin's conviction and sentence, concluding that he was not denied effective assistance of counsel nor was any prejudicial error made during the trial process. The application for an evidentiary hearing related to ineffective assistance claims was also denied. The judgment emphasizes the court's adherence to the standards of due process and the evaluation of evidence within the legal framework guiding criminal proceedings in Oklahoma.

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F-2018-760

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**Court of Criminal Appeals of the State of Oklahoma** **Case Summary: Monte Dean Perry v. The State of Oklahoma** **Case No.: F-2018-760** **Judgment Date: December 5, 2019** **Overview:** Monte Dean Perry was convicted by a jury on charges of assault and battery with a deadly weapon and endeavoring to perform an act of violence. The court sentenced him to 30 years for the first count and 5 years for the second, with both sentences to run concurrently. **Legal Issue:** Perry appealed the conviction, claiming that the evidence was insufficient to prove he assaulted the victim with a knife, arguing that the prosecution did not meet the burden of proof beyond a reasonable doubt. **Court's Review Standard:** The appellate court evaluated the evidence under the standard that favors the prosecution, determining if any rational trier of fact could find the essential elements of the crime proven beyond a reasonable doubt, as per *Spuehler v. State*. **Decision:** The court upheld the jury's conviction, finding that the evidence was indeed sufficient to support the verdict. Perry's proposition of error was denied, and the judgment and sentence were affirmed. **Additional Notes:** - Perry must serve 85% of his sentence for Count 1 before being eligible for parole consideration. - The opinion was delivered by Presiding Judge Lewis, with concurrence from Judges Kuehn, Lumpkin, Hudson, and Rowland. For full text or additional details, refer to the official opinion [here](https://opinions.wirthlawoffice.com/wp-content/uploads/F-2018-760_1735216916.pdf).

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F-2018-647

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**Court of Criminal Appeals of the State of Oklahoma Summary Opinion** **Appellant:** David Martinez **Appellee:** The State of Oklahoma **Case No.:** F-2018-647 **Filed:** December 5, 2019 **Presiding Judge:** Lewis **Summary:** David Martinez was convicted in a bench trial of lewd or indecent acts to a child under 16, in violation of 21 O.S.Supp.2015 § 1123(A)(2). The trial was held in the District Court of Beckham County under Judge Doug Haught, who sentenced Martinez to ten years in prison, with the majority of the sentence suspended after serving six years. Martinez raised several propositions of error in his appeal: 1. **Allegation of Lewd Molestation without Corroboration:** - Martinez claimed his due process rights were violated because M.C.'s testimony was unbelievable and lacked corroboration. The court upheld that the general rule allows conviction based on the uncorroborated testimony of the prosecutrix if it is clear and unambiguous. The court found M.C.'s testimony sufficient and denied this proposition. 2. **Right to a Certified Interpreter:** - Martinez, who does not speak English, argued he was denied a certified interpreter. The court noted that the presumption of regularity in legal proceedings applies, and without evidence that interpretation was inaccurate or that it affected the trial’s outcome, this claim was denied. 3. **Hearsay Evidence:** - The court reviewed evidence of text messages sent by the victim to her mother as hearsay. Since the trial was a bench trial, the court presumed only competent evidence was considered, and any objection raised post-trial was not preserved for appeal. This proposition was denied. 4. **Preliminary Hearing Evidence:** - Martinez contended that the prosecution failed to show all elements of the crime during the preliminary hearing. The court pointed out that the age element was established during trial and noted the waiver of any preliminary hearing errors not related to jurisdiction. This proposition was denied. **Decision:** The judgment and sentence were affirmed by the Court of Criminal Appeals of the State of Oklahoma. **Opinion by:** Lewis, P.J. **Concurrences by:** Kuehn, V.P.J.; Lumpkin, J.; Hudson, J.; Rowland, J. *For the complete opinion, you can download the PDF [here](https://opinions.wirthlawoffice.com/wp-content/uploads/F-2018-647_1735224408.pdf).*

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F-2018-566

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This text is a legal opinion from the Oklahoma Court of Criminal Appeals regarding the case of Keenan Lynn Holcomb, who was convicted of multiple crimes including first degree murder, unlawful removal of a dead body, kidnapping, and forcible oral sodomy. The appeal discusses various propositions raised by the appellant, including issues with the admission of evidence, sufficiency of evidence for specific charges, claims of ineffective assistance of counsel, and concerns about the trial court's discretion regarding credit for jail time served. The court ultimately affirmed the convictions and sentences, concluding that the trial court did not abuse its discretion in its rulings, that the evidence was sufficient to support the convictions, and that claims of ineffective assistance and other errors did not merit relief. The opinion emphasizes the role of the jury in determining the facts of the case, as well as the importance of the defendant's right to confront witnesses and the sufficiency of prior cross-examination. For further reading or reference, a PDF of the full opinion is available through the provided link.

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F-2017-1261

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In OCCA case No. F-2017-1261, Carlos Santana Gunter appealed his conviction for robbery with a dangerous weapon, assault, and battery with a dangerous weapon. In an unpublished decision, the court decided to affirm his convictions and sentences. One judge dissented. Carlos Santana Gunter was found guilty by a jury in Canadian County for robbery and two counts of assault and battery. He received a sentence of thirty years for each count. The judge ruled that Gunter must serve at least 85% of the robbery sentence before being eligible for parole, and the assault sentences were ordered to run concurrently with each other but consecutively to the robbery sentence. Gunter raised several arguments on appeal. First, he claimed that asking the victims about the effects of their injuries during the trial was improper and prejudiced his case. The court found that this testimony was relevant to establish elements of the crimes and did not affect the outcome significantly. Second, Gunter argued that his right to remain silent was violated when a police officer mentioned that he asked for an attorney during questioning. The court agreed this was an error but concluded that the evidence against Gunter was so strong that it did not impact the fairness of the trial. Third, Gunter challenged the use of his previous felony convictions to enhance his sentence, saying he didn’t have a lawyer during those earlier convictions. The court noted that Gunter had acknowledged those convictions during the trial and failed to show any actual error regarding legal representation. Fourth, he alleged prosecutorial misconduct, claiming the prosecutor made unfair comments that influenced the jury. The court found these comments did not render the trial unfair. Fifth, Gunter argued he did not receive effective legal counsel during the trial. However, the court decided that because his other claims did not merit relief, he could not prove ineffective assistance of counsel. Lastly, Gunter asserted that the combined errors in his case deprived him of a fair trial. The court ruled that even when considering all claimed errors together, they did not affect the outcome. In the end, the court affirmed Gunter's conviction and sentence, concluding that the evidence against him was compelling, and the trial was fair despite the issues raised.

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F-2017-1215

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In OCCA case No. F-2017-1215, Ganey Marques Fairley appealed his conviction for Child Abuse by Injury and Child Neglect. In an unpublished decision, the court decided to affirm Fairley’s convictions but remanded the case for resentencing. One judge dissented. Fairley was found guilty of abusing a child and neglecting them. The trial took place in Tulsa County, where the jury gave Fairley a long sentence. Fairley's appeal brought up several concerns about how the trial was conducted, particularly pointing out that the prosecutor acted inappropriately. The first issue was about the prosecutor’s behavior during the trial, which Fairley claimed made it impossible for him to have a fair trial. He believed the prosecutor mentioned past abuse claims related to him when questioning an expert witness and kept bringing it up during her closing statements. Fairley argued that this made the jury think he was guilty of past actions instead of focusing on the current case. The court found that the way the prosecutor questioned the expert did indeed go too far and included too much information that shouldn’t have been brought to the jury's attention. They agreed that this could have influenced the jury's decision and may have negatively affected the fairness of the trial. While the court believed that the evidence against Fairley was strong enough to still call him guilty, they recognized that the prosecutor's actions had created an unfair situation, especially during the part where the jury decided on the punishment. In conclusion, the court decided they would keep Fairley’s guilty verdict but would send the case back to be resentenced, as they felt the previous sentencing might have been tainted by the improper actions of the prosecutor. The dissenting judge thought that if the prosecutor's behavior was indeed so wrong, it should affect the conviction itself, not just the sentence.

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F-2018-994

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**IN THE COURT OF CRIMINAL APPEALS OF THE STATE OF OKLAHOMA** **KATESHA CHRISTINE CHILDERS,** **Appellant,** **v.** **THE STATE OF OKLAHOMA,** **Appellee.** **Case No. F-2018-994** **Filed: November 21, 2019** **SUMMARY OPINION** **JOHN D. HADDEN, JUDGE:** Appellant Katesha Christine Childers appeals her Judgment and Sentence from the District Court of Tulsa County, Case No. CF-2017-3783, for First Degree Murder (Count 1) and Unlawful Possession of a Firearm by a Convicted Felon (Count 2). The Honorable Kelly Greenough presided at her jury trial and sentenced her to life imprisonment on Count 1 and one year on Count 2, to run concurrently with credit for time served. Childers raises several issues including: 1. Sufficiency of evidence for her first-degree murder conviction. 2. The trial court's failure to instruct on first degree heat-of-passion manslaughter. 3. Ineffective assistance of counsel for not requesting the above instruction. 4. Admission of lay witness testimony regarding her confession. 5. Admission of hearsay evidence violating her right to a fair trial. 6. Prosecutorial misconduct affecting her trial. 7. Cumulative error necessitating relief. **1. Sufficiency of Evidence for Conviction:** Childers argues insufficient evidence of malice aforethought. The court reviews evidence in the light most favorable to the state, concluding that a rational jury could find her guilt beyond a reasonable doubt. Evidence of a verbal altercation, her pursuit of the victim, and her admissions of guilt supported the jury's decision. Thus, this claim is denied. **2. Failure to Instruct on Heat-of-Passion Manslaughter:** Childers contends that the trial court erred by not issuing a heat-of-passion manslaughter instruction. Since no objection was raised at trial, review is for plain error. The court finds no evidence supporting such an instruction as Childers was the pursuer in the confrontation. Therefore, this claim is also denied. **3. Ineffective Assistance of Counsel:** Childers claims ineffective assistance because her counsel did not request the heat-of-passion manslaughter instruction. However, as she was not entitled to the instruction based on evidence, this claim fails. **4. Admission of Confession Testimony:** Childers asserts that her statements to lay witnesses were inadmissible due to lack of corroboration. The court adjudicates that there was substantial independent evidence corroborating her statements, thus denying this claim. **5. Admission of Hearsay Evidence:** Childers challenges various hearsay testimonies. Some were admitted without objection, so they are reviewed for plain error. The court finds that the admittance of testimony regarding the victim's fear of Childers is permissible under state-of-mind exceptions to hearsay. Consequently, this claim is denied. **6. Prosecutorial Misconduct:** Childers argues several instances of prosecutorial misconduct, including mention of her status as a convicted felon. Objections were made, and the trial court acted appropriately to mitigate potential prejudice against her. Based on the totality of circumstances, relief is not warranted, leading to a denial of this claim. **7. Cumulative Error:** Finally, Childers contends cumulative errors merit relief. As no individual errors warrant relief, this claim is denied. **CONCLUSION:** The Judgment and Sentence of the district court is AFFIRMED. **OPINION BY: ROWLAND, J.** **LEWIS, P.J.:** Concur **KUEHN, V.P.J.:** Concur **LUMPKIN, J.:** Concur **HUDSON, J.:** Concur **Download PDF:** [Click Here To Download PDF](https://opinions.wirthlawoffice.com/wp-content/uploads/F-2018-994_1734870881.pdf)

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F-2018-678

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The decision from the Oklahoma Court of Criminal Appeals affirms the conviction of Kenneth Oliver Ross for multiple offenses, including lewd molestation and human trafficking of a minor. The court meticulously addressed each of the twelve propositions of error raised by the appellant in their appeal. 1. **Double Punishment**: The court found no double jeopardy in the separate counts of lewd molestation, as they described distinct acts of abuse. 2. **Charge Appropriateness**: The court ruled that human trafficking was properly charged, as the prosecutor had discretion in choosing the relevant statutes. 3. **Sufficiency of Evidence**: Both propositions regarding the sufficiency of evidence for human trafficking were denied, with the court stating that isolated incidents could constitute the crime. 4. **Jury Instructions**: The court upheld the jury instructions given, finding no error in how the law was communicated to the jury. 5. **Ex Post Facto Claims**: The court found no ex post facto violation, indicating that ignorance of the victim's age was not a defense to the charges. 6. **Lesser Included Offenses**: The court ruled that the lack of request for certain lesser-included offense instructions meant review would be under plain error, which the court did not find. 7. **Statutory Clarity**: Propositions regarding the constitutionality and vagueness of the human trafficking statute were denied, with the court upholding the statute's clarity and application. 8. **Sentence Severity**: The court concluded that the 50-year sentence for human trafficking was not shockingly excessive based on the evidence presented. 9. **Cumulative Error**: The final proposition regarding cumulative error was also denied as no individual errors were found. Overall, the appellate court found no merit in any of the propositions and affirmed the original sentence handed down by the district court. The case illustrates the court's rigorous examination of statutory interpretation, jury instructions, evidentiary sufficiency, and statutory vagueness concerns in criminal appeals.

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F-2017-171

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In OCCA case No. F-2017-171, #William Hunter Magness appealed his conviction for #First Degree Child-Abuse Murder. In an unpublished decision, the court decided #to affirm his conviction and sentence. #One judge dissented. William Hunter Magness was found guilty by a jury for causing the death of his 22-month-old son, T.G. The incident happened on November 11, 2013, when T.G. was returned to Magness after spending the day with a friend. Shortly after T.G. returned, Magness called for help because T.G. was in distress. When emergency responders arrived, T.G. had multiple injuries, including bruises and a serious head injury. Tragically, T.G. died a few days later due to severe brain swelling from a large hematoma. During the trial, it was argued that Magness had intentionally harmed T.G., while the defense pointed to possible accidents that could explain the child’s injuries. Medical experts testified about the nature of T.G.'s injuries, and the key issues were whether the injuries were caused accidentally or intentionally. There were disagreements among the experts about the timing and cause of the injuries. Magness raised several arguments in his appeal. He claimed that the state did not prove all elements of the crime beyond a reasonable doubt, that he was not given the proper tools to defend himself, and that important evidence was wrongly excluded. He also asserted prosecutorial misconduct and ineffective assistance of his attorneys. The court reviewed these claims and found that there was enough evidence for a reasonable juror to decide that Magness was guilty beyond a reasonable doubt. They concluded that the trial court had not denied him essential rights or that any errors made did not significantly affect the outcome of the trial. Ultimately, the court upheld the conviction and sentence, stating that Magness would have to serve a significant portion of his life sentence before being eligible for parole.

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F-2018-198

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In OCCA case No. F-2018-198, Ann Sykes appealed her conviction for Abuse by Caretaker (Neglect) and Abuse by Caretaker (Financial Exploitation). In an unpublished decision, the court decided to affirm the judgment and sentence. One judge dissented. Ann Sykes was found guilty of two types of abuse against her son, who is a vulnerable adult. The first conviction was for not providing him with basic needs like food and shelter. The second conviction was for mishandling his money. The court sentenced her to eight years in prison but suspended three years, meaning she would only serve five years in custody. Appellant raised several problems with the trial process. She claimed that hearsay evidence, which is when someone repeats what another person said outside of court, was used against her unfairly. However, the court found that much of the evidence was not considered hearsay because it was not meant to prove the truth of the statements, and any hearsay that was improperly admitted didn't impact the trial's outcome. Sykes also argued that witnesses were allowed to testify without personal knowledge of the information they shared. The court disagreed, stating that witnesses had information based on their own experiences or observations. Another point of appeal was about whether the trial court made mistakes by letting certain opinions into evidence. A social worker testified about how not getting enough nutrition could affect someone's mental state. The court decided that the social worker was qualified to give that information based on her experience. Sykes claimed her two convictions meant she was being punished twice for the same actions, which is called double punishment. The court found that the actions leading to the two charges were different enough to allow both charges to stand without violating the law. She also believed that the charges against her were not clearly stated in the official documents, but the court noted that she didn’t raise this issue during the trial, so it wasn’t considered on appeal. Another argument was that she was denied a right to have a lawyer appointed to help her during the trial. The court found that although there was a lack of a hearing on this, Sykes did have a lawyer who represented her during the trial. Sykes claimed her lawyer did not do a good enough job. The court noted that for a claim like this, Sykes needed to show both that her lawyer did not perform well and that this affected the trial's outcome. The court did not find evidence that the lawyer's actions changed the trial's result. Lastly, Sykes claimed that even with the errors made during her trial, they did not add up to deny her a fair trial overall. The court agreed, concluding that the errors did not require the reversal of her conviction. Overall, the court affirmed the conviction and sentence, meaning Sykes will continue to serve the time given by the lower court. The application to further review her claims about lawyer effectiveness was denied as well.

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F-2017-528

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In OCCA case No. F-2017-528, Darrien Hasmii Clark appealed his conviction for Murder in the First Degree and several other charges, including Assault and Battery with a Deadly Weapon. In an unpublished decision, the court decided to affirm the convictions. One judge dissented. Darrien Clark was found guilty by a jury of murdering a convenience store clerk after he shot the clerk multiple times during a robbery. The jury also convicted him on other charges involving a separate shooting incident. Clark was sentenced to life in prison without the chance of parole for the murder, and he received additional sentences for the other crimes, which will be served consecutively. During the trial, Clark's defense raised several issues. He argued that his murder case and the other cases should not have been tried together, but the court ruled that the similar nature of the crimes justified this decision. The evidence showed that both incidents involved the same weapon and occurred in a close time frame, which the court found relevant for judicial efficiency. Clark also tried to present evidence to suggest that someone else committed the murder, arguing that another man who was initially arrested should be considered a suspect. However, the court found that there wasn’t enough reliable evidence to support this claim. In addition, Clark claimed that the prosecution improperly introduced victim impact evidence during the trial. The court determined that the evidence was relevant to the case and did not constitute a plain error. Another argument made by Clark was that he acted in self-defense during the shooting of another man. The jury was instructed about self-defense laws, and the evidence presented suggested that Clark was the aggressor in that situation. The court concluded that any rational jury could determine that he did not act in self-defense. Lastly, Clark argued that the combination of errors throughout the trial denied him a fair trial. However, since the court found no significant errors, they denied this claim as well. The court ultimately decided to uphold the convictions and sentences issued by the lower court.

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F-2018-1187

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In the Court of Criminal Appeals of the State of Oklahoma, the case reviewed is that of Pearlena Hall, who appealed the decision of the district court following her termination from the mental-health court program. On May 4, 2017, Hall entered guilty pleas in two cases related to larceny, obstructing an officer, and possession of drug paraphernalia. After entering the mental-health court program, she faced a motion to terminate her participation due to allegations of committing a new crime and various rule violations. The court reviewed the appeal for any abuse of discretion regarding the termination. The decision to terminate a defendant from a mental-health court must uphold minimum due process standards, which includes proper notice of violations, an opportunity to be heard, and the ability to confront witnesses. Hall argued that her due process rights were violated because the State did not file a new application for removal and thus did not provide adequate notice about the allegations against her. However, the court found that Hall was aware of the allegations, which she confessed to during the proceedings. The judge provided opportunities for her to comply with program requirements, and a delay in sentencing that favored Hall did not equate to a due process violation. The court highlighted that she could not complain about delays she acquiesced to during the processes. Ultimately, the court affirmed Hall's termination from the mental-health court, ruling that her procedural rights had been sufficiently met. Thus, her appeal was denied, and the termination order was upheld. The court's opinion was delivered by Judge Rowland, with Judges Lewis, Kuehn, Lumpkin, and Hudson concurring with the decision. The mandate was ordered as per Oklahoma Court rules, and the relevant parties were identified for representation. For further reference, you can view the full opinion [here](https://opinions.wirthlawoffice.com/wp-content/uploads/F-2018-1187_1734785215.pdf).

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F-2018-1020

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The document is an opinion from the Court of Criminal Appeals of the State of Oklahoma regarding the case of Renese Bramlett, who was convicted of First Degree Murder and sentenced to life imprisonment without the possibility of parole. The case summary includes the following key points: 1. **Background**: Bramlett's original conviction was affirmed, but his sentence was vacated, leading to a resentencing trial where the same life without parole sentence was imposed again. 2. **Appeal Issues**: Bramlett raised three main issues on appeal: - Alleged prosecutorial misconduct during closing arguments. - Denial of due process due to the introduction of his prior felony convictions while being unable to present mitigating evidence. - A claim that the sentencing process should have been modified rather than remanded for resentencing. 3. **Court's Findings**: - **Prosecutorial Misconduct**: The Court found that the prosecutor's comments did not constitute inappropriate appeals to sympathy but were instead proper comments on the evidence. No relief was warranted. - **Due Process Concerns**: The Court upheld the procedure established by Oklahoma statute, which allows the State to introduce evidence of prior felony convictions without permitting the defendant to present mitigating evidence. The statutory framework was deemed to meet due process requirements. - **Remand vs. Modification**: The Court rejected Bramlett's argument that a modification of sentence was warranted. It ruled that the resentencing procedure did not disadvantage him, and there were no legal errors that warranted a modification of the sentence. 4. **Conclusion**: The Court affirmed the sentence imposed by the district court, confirming that the procedures followed during resentencing were consistent with due process and statutory law. The opinion also includes concurring opinions from Judges Lewis and Kuehn, who noted specific interpretations of the law regarding sentencing in noncapital cases. In summary, the Court's decision reinforces the legal standards governing the introduction of evidence during sentencing in noncapital murder cases and the limits on presenting mitigating evidence in light of prior felony convictions.

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F-2018-668

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**IN THE COURT OF CRIMINAL APPEALS OF THE STATE OF OKLAHOMA** **RICHARD PATRICK SPAULDING,** **Appellant,** **V.** **THE STATE OF OKLAHOMA,** **Appellee.** **Case No. F-2018-668** **FILED IN COURT OF CRIMINAL APPEALS** **STATE OF OKLAHOMA** **OCT 31 2019** **SUMMARY OPINION** **JOHN D. HADDEN CLERK** **LEWIS, PRESIDING JUDGE:** Richard Patrick Spaulding, Appellant, was tried by a jury and found guilty of first degree murder, in violation of 21 O.S.Supp.2012, § 701.7(A), in the District Court of Tulsa County, Case No. CF-2017-682. The jury set punishment at life imprisonment. The Honorable William J. Musseman, Jr., District Judge, pronounced judgment and sentence accordingly. Mr. Spaulding appeals on the following proposition of error: 1. The evidence was insufficient to prove beyond a reasonable doubt that Appellant committed the crime of murder in the first degree. Appellant must serve 85% of his sentence before being eligible for consideration for parole, pursuant to 22 O.S.Supp.2015, § 13.1(1). In Proposition One, Appellant argues the evidence was insufficient to support his conviction. We review the trial evidence in the light most favorable to the State to determine whether any rational trier of fact could find the essential elements of the charged crime beyond a reasonable doubt. *Spuehler v. State,* 1985 OK CR 132, ¶ 7, 709 P.2d 202, 203-04. In this inquiry, we will not second guess the jury's finding of facts, but will accept the reasonable inferences and credibility choices that support the jury's verdict. *Mason v. State,* 2018 OK CR 37, ¶ 13, 433 P.3d 1264, 1269. We conclude that the evidence presented at trial was legally sufficient to support Appellant's conviction for murder. Proposition One is denied. **DECISION** The judgment and sentence is AFFIRMED. Pursuant to Rule 3.15, Rules of the Oklahoma Court of Criminal Appeals, Title 22, Ch.18, App. (2019), the MANDATE is ORDERED issued upon the delivery and filing of this decision. **AN APPEAL FROM THE DISTRICT COURT OF TULSA COUNTY** **THE HON. WILLIAM J. MUSSEMAN, JR., DISTRICT JUDGE** **APPEARANCES AT TRIAL** RICHARD KOLLER 423 S. BOULDER AVE., STE. 300 TULSA, OK 74103 ATTORNEY FOR APPELLANT **APPEARANCES ON APPEAL** RICHARD COUCH REBECCA NEWMAN 423 S. BOULDER AVE., STE. 300 TULSA, OK 74103 ATTORNEYS FOR DEFENDANT KENNETH ELMORE MIKE HUNTER KATY HAMSTRA ATTORNEY GENERAL ASST. DISTRICT ATTORNEYS KEELEY L. MILLER 500 S. DENVER AVE., STE. 900 TULSA, OK 742103 ATTORNEYS FOR THE STATE **OPINION BY: LEWIS, P.J.** KUEHN, V.P.J.: Concur LUMPKIN, P.J.: Concur HUDSON, J.: Concur ROWLAND, J.: Concur [Click Here To Download PDF](https://opinions.wirthlawoffice.com/wp-content/uploads/F-2018-668_1735223088.pdf)

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F-2018-623

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The document outlines a legal case involving Leslie Anne Gregersen who was convicted of Conspiracy Against the State in the District Court of Bryan County, Oklahoma. The Court of Criminal Appeals affirmed her conviction and sentence on October 31, 2019. The case revolved around several allegations made by Gregersen pointing to various errors during the trial, including insufficient evidence for conspiracy, improper admission of evidence from other crimes, ineffective assistance of counsel, improper jury instructions, excessive sentencing, and cumulative errors. Key findings from the case: 1. **Sufficiency of Evidence**: The court found sufficient evidence to support the jury's verdict of conspiracy, affirming that a rational trier of fact could have concluded that Gregersen was guilty beyond a reasonable doubt. 2. **Admission of Evidence**: The testimony regarding other crimes was deemed proper as res gestae evidence, necessary to provide context and understanding of the events surrounding the charged crime. 3. **Ineffective Assistance of Counsel**: The court ruled that Gregersen failed to demonstrate that her counsel's performance was deficient or that it prejudiced her defense. 4. **Jury Instructions and Responsibilities**: The trial court's handling of jury questions regarding sentencing did not mislead the jury about their responsibilities, and any potential errors did not affect the fairness of the proceedings. 5. **Excessive Sentence**: The court concluded that Gregersen's four-year sentence was not shockingly disproportionate to her crime. 6. **Plea Bargaining Deadline**: The court found no error regarding the deadline set for plea bargaining, noting that Gregersen had rejected a plea offer prior to the deadline and had not shown how she was prejudiced. 7. **Cumulative Error**: Since the court did not find merit in any of the individual claims of error, the cumulative error claim was also denied. Overall, all propositions of error were denied, and the judgment and sentence were affirmed.

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F-2018-588

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The case involves Sonia Weidenfelder, who was convicted of first-degree murder in the District Court of Tulsa County and sentenced to life imprisonment. On appeal, she contested the trial court's denial of her motion to suppress evidence obtained from two cell phones, claiming that the warrants authorizing the searches lacked probable cause, thereby violating her Fourth Amendment rights. The Court of Criminal Appeals of Oklahoma reviewed the trial court’s ruling for abuse of discretion, which entails a clearly erroneous judgment. They affirmed the trial court's decision, finding sufficient probable cause in the affidavits supporting the search warrants for the cell phones. They noted that the magistrate had a substantial basis for determining that evidence related to the murder would likely be found on the phones, allowing for the admissibility of the evidence at trial. The judgment of the trial court was therefore affirmed, and the Court concluded that there was no error in the admission of the cell phone evidence. The decision also includes information on the legal representation for both the appellant and the state, as well as a note that the mandate would be issued upon the decision’s delivery and filing.

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F-2018-360

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In OCCA case No. F-2018-360, McNeary appealed his conviction for lewd acts with a child under 16. In an unpublished decision, the court decided to affirm the conviction. No one dissented. Goldy Romeo McNeary was found guilty by a jury for two counts of committing lewd acts with a child under 16 years old. The jury sentenced him to ten years in prison for each count, and these sentences were ordered to be served one after the other. The court also decided that McNeary must serve 85% of his sentence before he could be considered for parole. McNeary appealed his conviction, arguing several points. First, he claimed that the trial court wrongfully allowed evidence of other bad acts, which he said made his trial unfair. Second, he said that this evidence was more harmful than helpful, violating his right to a fair trial. Third, he argued that the trial court did not give the jury proper instructions about how to use this evidence. Fourth, he felt that the trial court was wrong to not allow him to present evidence about Speck Homes, where the acts took place. Lastly, he believed that when considering all the errors together, they warranted a new trial. For the first two points, the court looked at whether the admission of the other crimes evidence was an obvious mistake and if it affected McNeary’s rights. They concluded that even if there was a mistake, it did not change the outcome since there was clear evidence of his guilt. Thus, the evidence did not rise to the level of a serious error. For the third point, the judge had promised to give instructions about the other crimes evidence but failed to do so at the right time. However, since the judge provided some instructions later, the court found no harm was done to McNeary from this. On the fourth point about Speck Homes, the court reasoned that the evidence was not allowed mainly because it was not relevant and also tried to avoid bad effects such as confusion. The trial judge made a choice based on their understanding of the law, and the appellate court did not find it to be a mistake. Lastly, the court examined McNeary's claim that all the errors combined were enough to grant him a new trial. They determined that no significant individual errors had occurred that would justify this request. In conclusion, the court upheld the judgment and sentencing, affirming McNeary’s conviction without any dissent from the other judges involved.

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F-2018-349

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In OCCA case No. F-2018-349, John Albert Broomhall appealed his conviction for Assault and Battery with a Dangerous Weapon. In an unpublished decision, the court decided to affirm the conviction and sentence, but vacated the order of restitution and remanded the case for a restitution hearing. One judge dissented. Broomhall was found guilty by a jury, and he was sentenced to one year in jail and a fine of $5000. He raised several claims in his appeal. First, he argued that the State did not provide enough evidence to prove that he committed the crime, which involved using a baseball bat to hurt someone. The court found that the jury had enough evidence to believe he did commit the crime. Next, Broomhall claimed he acted in self-defense, but the court ruled that he did not meet the burden of proof needed to show that his actions were justified. He also accused the prosecutor of misconduct during the trial, but the court decided that nothing the prosecutor did affected the fairness of the trial. Broomhall argued that the jury was given incorrect instructions, but the court found the instructions were proper. He also believed that the trial court made a mistake in how it ordered restitution for the victim's losses. The court agreed that the restitution order was not done correctly and needed to be revisited. Broomhall claimed he had ineffective assistance from his attorney, but the court found no basis for this claim, stating that the actions of his counsel did not harm his case. Lastly, Broomhall contended that there were numerous errors that, together, made his trial unfair; however, the court concluded that the only issue needing correction was the restitution order. In summary, while the court upheld Broomhall's conviction, it sent the restitution issue back for further consideration.

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F-2018-175

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In OCCA case No. F-2018-175, Charles Randall Hayes appealed his conviction for first-degree manslaughter while driving under the influence of drugs. In an unpublished decision, the court decided to reverse the conviction for the misdemeanor driving under the influence charge but affirmed the convictions for first-degree manslaughter and driving left of center. One judge dissented. Mr. Hayes was found guilty of serious charges, including manslaughter, because he caused an accident while driving under the influence. The jury gave him a life sentence for this, along with fines for the other charges. He had multiple reasons for appealing his case, claiming that he didn’t get a fair trial, that his sentence was too harsh, that his lawyer didn’t help him enough, and that mistakes happened during the trial that made it unfair. The court looked at whether the charges against him were correct. They agreed that he couldn't be sentenced for both manslaughter and for the misdemeanor of driving under the influence at the same time because that would be unfair punishment for the same action. Mr. Hayes argued that the prosecution behaved badly during the trial, but the court found that there were no serious mistakes that changed the outcome. They believed that the prosecutor's actions did not make the trial unfair enough to change the results. When Mr. Hayes said his sentence was too harsh, the court decided that it was still within the legal limits. They only change sentences if they are shockingly unfair, which they did not find here. Mr. Hayes also claimed that his lawyer did not defend him well enough. However, since the court did not find that the prosecutor made major mistakes, they thought there was no reason to think that a different lawyer would have helped him more. Finally, Mr. Hayes felt that too many errors had happened to make the trial fair at all. The court disagreed and said that since they found none of the individual mistakes were harmful, they couldn’t consider them as a group. In conclusion, the appeal changed one of the misdemeanor charges but largely supported the main conviction.

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F-2017-1307

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In OCCA case No. F-2017-1307, James Rex Clark appealed his conviction for four counts of Child Abuse by Injury and one count of First Degree Child Abuse Murder. In an unpublished decision, the court decided to affirm the judgment and sentence. One judge dissented. James Rex Clark and his wife were charged after the tragic disappearance of a boy named Colton, who was living with them. They had adopted Colton and his older brother T.J.S. after the boys were removed from their biological parents due to drug and alcohol issues. In 2006, Colton was reported missing, and a massive search took place; however, no trace of him was ever found. T.J.S. later revealed that he had been abused by the Appellants and expressed fears about his brother's fate. After years had passed, T.J.S. reached out to authorities to provide information about the abusive environment he and Colton had experienced while living with their uncle and aunt. As a result of T.J.S.’s testimony and an investigation that followed, both James and his wife were charged with the serious crimes. During the trial, T.J.S. described the harsh treatment he and Colton endured, which included physical abuse and isolation from others. He explained that after Colton had an argument with James, he was taken to a bedroom, and T.J.S. later found him unresponsive on the couch. James tried to argue that he did not receive a fair trial. He claimed that parts of the trial were not properly recorded and that he was not given a fair chance to defend himself. He contended that evidence against him was presented in a way that was not appropriate and that the prosecutor acted unfairly during the trial. However, the court explained that there was no evidence that the issues James raised affected the outcome of the trial. They found that the testimony about Colton’s character and life was important and properly admitted to show that he would not have run away. They also considered that the defense did not provide sufficient reasons for their claims of error. Ultimately, the court upheld the conviction, affirming that the evidence showed James was guilty of the serious charges. T.J.S.'s accounts of the abuse were significant in proving what James and his wife had done. The judges concluded that despite the many claims made by James, they did not find the errors alleged by him to be valid or sufficient to overturn the jury's decision. The court’s ruling confirmed that James would face life imprisonment as recommended by the jury based on the severity of the crimes committed against Colton. This case highlighted serious issues regarding child welfare and the responsibilities of adults toward children in their care.

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F-2018-302

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In OCCA case No. F-2018-302, Jorge R. Medina appealed his conviction for Lewd or Indecent Acts to a Child Under 16. In an unpublished decision, the court decided to affirm Medina's conviction and sentence. One judge dissented. The case involved Medina being found guilty by a jury of a serious crime against a young child. The court imposed a severe sentence of forty years imprisonment. Medina raised several arguments in his appeal, claiming he did not receive a fair trial due to prosecutorial misconduct, issues with his confession, introduction of evidence regarding his past behavior, and ineffective assistance of his attorney. First, Medina argued that the prosecutor made incorrect statements during the trial and suggested that the jury should assume certain things rather than find them to be true based on evidence. However, the court reviewed the prosecutor's comments and determined they did not misstate the law or unfairly influence the jury. Next, Medina claimed he did not fully understand his rights when he confessed, which should have meant that his confession was not valid. But the court found that Medina had waived this right and that the confession was given voluntarily after he understood his rights. Medina also contested the admission of evidence about his past bad acts. The court found that the prosecution had properly notified Medina of this evidence beforehand, so it was admissible. Regarding hearsay statements made by the victim, which were brought up as evidence at the trial, Medina’s team did not object to this during the trial. The court observed that since the defense had been aware of the basis for these statements and did not raise any objections, it affected their ability to contest them later. Moreover, Medina argued his attorney did not provide effective legal help because they did not object to issues during the trial. The court concluded that the alleged deficiencies of the attorney did not impact the outcome of the case due to the strength of the evidence against Medina. Finally, Medina claimed that the accumulation of errors throughout his trial added up to a denial of his rights. However, the court found that the trial did not have enough significant errors to justify this claim. In conclusion, the court upheld Medina's conviction and sentence, emphasizing that the errors he pointed out did not meet the threshold to alter the jury's decision.

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F-2017-1306

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In OCCA case No. F-2017-1306, Rebecca Faith Clark appealed her conviction for four counts of Child Abuse by Injury and one count of First Degree Child Abuse Murder. In an unpublished decision, the court decided to affirm her convictions and sentences. One judge dissented. The case involves serious allegations against the appellant and her husband, who adopted two boys after they were removed from their biological parents due to neglect. The abuse came to light after the younger boy, Colton, went missing in 2006. An extensive search was conducted, but he was never found. During this time, the older brother, T.J.S., raised concerns about the treatment he and Colton were receiving at home. He reported incidents of physical abuse, including being beaten and isolated by the appellants. After several years, T.J.S. contacted law enforcement about the mistreatment and his brother's disappearance, which led to reopening Colton's case. The trial revealed chilling details about the life of the brothers in the appellants' care. T.J.S. provided testimony about the physical and emotional abuse they suffered, including beatings, emotional manipulation, and the traumatic events surrounding Colton's disappearance. In her defense, the appellant denied any wrongdoing and argued that the boys were troubled and often acted out. She claimed T.J.S. was the source of the injuries he reported, and she maintained that Colton had run away rather than suggesting any harm had come to him. The court examined various claims raised by the appellant, including ineffective assistance of counsel and improper admission of evidence. Ultimately, the court upheld the conviction, indicating that the overwhelming evidence against the appellant affirmed the decision of the jury. The opinion emphasized the role of the older brother's testimony and the psychological and physical marks left from the alleged abusive environment. It highlighted the principles of joint representation and the appellant's decisions during the trial process. Given these factors, the appellate court found no compelling reason to reverse the lower court's decision. Overall, the OCCA concluded that the appellant received a fair trial, despite her arguments to the contrary, and affirmed the judgment and sentence. The dissenting opinion focused on specific aspects of the trial proceedings but ultimately shared the conclusion regarding the affirmance of the convictions.

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F-2018-626

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In the case of Carl Douglas Crick, Jr. v. The State of Oklahoma, the Court of Criminal Appeals of Oklahoma reviewed Crick's appeal following a jury trial that found him guilty of multiple counts of sexual offenses, including first degree rape and lewd acts with a child. Crick received life sentences for certain counts, while others received lesser prison terms. The trial court ordered some sentences to run concurrently and others consecutively. Crick's main contention on appeal was that he received ineffective assistance of counsel, specifically citing his attorney's failure to present certain witnesses and to object to improper testimony from a prosecution witness that allegedly vouched for the credibility of the victim. The court applied the standard set forth in Strickland v. Washington, which requires the appellant to show that his counsel’s performance was deficient and that this deficiency prejudiced the outcome of the trial. The court determined that the evidence presented by Crick did not clearly demonstrate a strong possibility that counsel’s performance fell below constitutional standards. As such, Crick's request for an evidentiary hearing to further explore these claims was denied. The court also assessed the claim concerning the prosecution witness's testimony. It concluded that the alleged vouching was not comparable to previous cases that warranted reversal, thus affirming that counsel's choice not to object did not amount to deficiency. Ultimately, the Court of Criminal Appeals affirmed the judgment and sentence of the trial court, indicating that Crick had not established a violation of his right to effective counsel. The decision was issued with a note for the mandate to be ordered upon delivery and filing of the decision.

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