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-2017-1248

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In OCCA case No. F-2017-1248, Aislyn Jonelle Miller appealed her conviction for five counts of Child Neglect. In an unpublished decision, the court decided to affirm the judgment and sentence. One judge dissented. Miller was found guilty by a jury of not taking care of her two young children, which included not providing them with enough food and not getting them the medical care they needed. The jury suggested that she be sentenced to thirty years in prison for four of the counts and ten years for one count, with the sentences to be served one after the other. Miller argued several points on appeal. First, she claimed that two of her convictions for neglecting one child should not count separately, as they were for the same offense – one for not feeding the child and the other for not getting medical care. She also made a similar claim regarding her neglect of her other child. However, the court found that failing to feed the children and failing to get medical care for them were different acts, so her separate convictions were valid. Miller’s next argument was that she did not have good legal representation during her trial. The court explained that to prove this, she needed to show that her lawyer made big mistakes and that these mistakes changed the outcome of her case. Since the court deemed her convictions valid, it concluded that any issues raised about her attorney’s performance would not matter since those objections would not have made a difference. Lastly, Miller claimed that the judge should have allowed her to serve her sentences at the same time instead of one after the other, which would have meant a shorter time in prison. The court pointed out that judges have the right to decide how to run sentences, and in this case, the judge acted reasonably and considered all the facts before deciding to run them consecutively. Overall, the court did not find any errors in the trial process that would have changed the outcome, and so they upheld the original sentence given to Miller.

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F-2017-559

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In OCCA case No. F-2017-559, Jonas Jorge Conroy-Perez appealed his conviction for Harboring a Fugitive From Justice. In a published decision, the court decided to reverse the acceleration of his deferred judgment and sentencing. One judge dissented. The case started when Conroy-Perez entered a guilty plea in 2015, which allowed him to avoid immediate penalties but required him to follow certain rules for two years. One of these rules involved paying fees. Later, the state claimed he violated these rules by not only missing payments but also due to new felony charges. In 2017, after a hearing, the judge decided that Conroy-Perez had violated his probation and increased his sentence to a 10-year term, with time suspended except for the first 90 days in jail. Conroy-Perez argued that he couldn’t pay the fees because he was unable to work after a vehicle accident and was receiving worker's compensation. The court looked into his arguments. On one hand, the court agreed that while the state proved he owed money, they should also have checked whether he was willfully not paying. The state did not show he could afford to pay the fees, thus the court ruled it was not right to increase his sentence based solely on that. Therefore, they sent the case back for further examination. On other points of appeal, the court found that there was no evidence his legal representation was inadequate and did not rule on the length of the new sentence since they had already reversed it. The dissenting judge noted concern about the implications of the ruling, emphasizing the importance of understanding a person’s ability to pay before increasing sentences for not paying fees.

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C-2017-1044

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The document appears to be a legal summary from the Oklahoma Court of Criminal Appeals regarding the case of Auntra Lawan Edmonds. The case revolves around Edmonds' appeal after being convicted of two counts of First Degree Manslaughter. Here’s a concise overview of the case and the court's decision: 1. **Background**: Auntra Lawan Edmonds was charged with two counts of First Degree Manslaughter in Greer County District Court. After entering a no contest plea and being sentenced to life imprisonment for each count (to run concurrently), he later sought to withdraw his plea, which the court denied. 2. **Propositions of Error**: - **Proposition I**: Edmonds argued that the trial court erred in denying his motion to withdraw his plea, claiming it was not entered knowingly, intelligently, and voluntarily. The court found that the record sufficiently demonstrated that Edmonds was aware of his rights and the nature of the charges, thus affirming that his plea was valid. - **Proposition II**: He claimed ineffective assistance of counsel during the plea withdrawal hearing. The court concluded that this claim lacked merit, noting that Edmonds did not provide substantial evidence to support the claim of ineffective assistance. - **Proposition III**: Edmonds argued that his life sentences were excessive. The court reasoned that the sentences were factually substantiated and justified given the severity of the incident, including the presence of alcohol and prior criminal behavior. 3. **Court Decision**: The court denied Edmonds' petition for a writ of certiorari, affirming the judgment and sentence of the District Court. It upheld that the trial court did not abuse its discretion in denying the motion to withdraw the plea. 4. **Final Note**: The opinion emphasizes the importance of properly presenting claims during the trial and highlights that a defendant's dissatisfaction with a sentence does not invalidate a plea agreement. This case serves as a reference point for issues regarding plea withdrawals, effective legal counsel, and the proportionality of sentences in criminal proceedings.

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F-2016-30

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In OCCA case No. F-2016-30, Ladarius Burnell Kelly appealed his conviction for robbery with a firearm and assault with a dangerous weapon. In an unpublished decision, the court decided to affirm his convictions but modified the fines associated with the charges. One judge dissented regarding the change in fines. Ladarius Burnell Kelly was charged and found guilty by a jury for committing robbery with a firearm and assault with a dangerous weapon. He received a punishment of 18 years in prison along with a $2,500 fine for the robbery and 2 years in prison with a $2,500 fine for the assault. The sentences were to be served one after the other. Kelly appealed, raising several issues. First, he argued that the witnesses who identified him were not reliable, which he believed violated his rights. However, the court found that the methods used for identification were not overly suggestive and did not mislead the jury. Therefore, his claim was denied. Next, Kelly challenged the evidence presented against him for the assault charge. The court looked at the evidence favorably for the prosecution and determined there was enough proof to support the conviction. The testimony showed that Kelly had threatened to shoot a victim, which the jury could reasonably interpret as an intent to harm, so this argument was also denied. He also argued that he had not received a fair trial due to prosecutorial misconduct. However, the court found that any alleged missteps by the prosecutor didn't significantly impact the fairness of the trial. Because of this, this claim was denied as well. Importantly, Kelly had a point regarding the fines. The court found that the jury was wrongly instructed about the mandatory fines for the charges. They decided to correct this by changing the fine for the assault count to $0 and reducing the fine for the robbery charge to $2,000. Kelly also believed that his lawyer did not do their job effectively, but the court ruled that his claims did not show that the outcome of the trial would have changed if his lawyer had acted differently. In summary, the court upheld Kelly's convictions and changed the financial penalties, showing that while he did not win the major points of his appeal, he was granted some relief on the fines imposed.

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F 2015-121

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In OCCA case No. F 2015-121, the appellant appealed his conviction for first-degree manslaughter. In an unpublished decision, the court decided to affirm the judgment of the district court, but vacated the sentence and remanded the case for resentencing. One judge dissented. The case involved Erica Lashon Harrison, who was accused of murder but was convicted of the lesser charge of first-degree manslaughter. The jury sentenced her to 25 years in prison and a fine of $10,000. Harrison raised multiple issues on appeal. She argued that the state did not prove she was not acting in self-defense, that improper evidence was allowed, and that she did not have proper legal representation. The court reviewed the case and found that the evidence supported the jury's verdict. They determined Harrison's claim of self-defense could not stand as there was not enough evidence to show she was in danger. The court noted that while some incorrect evidence was introduced, it did not affect the conviction. However, they decided that the sentence should be vacated and the case sent back for resentencing due to the improper character evidence brought up during the trial. The judges concluded that this error needed to be addressed, even if the earlier convictions were proper. The opinion recognized that although some arguments made by Harrison were valid, overall, the court found her conviction was supported by overwhelming evidence. The dissenting judges believed the error did not have a significant impact on the jury's decision. They argued that the sentence should not be changed since the evidence clearly proved guilt, even if procedural mistakes were made during the trial. Overall, the court upholds the conviction but sends the case back for a new decision on sentencing. The judges agreed on the main decision, while differing on whether the sentence change was necessary.

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RE 2014-0706

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In OCCA case No. RE 2014-0706, Sean Eddie Howland appealed his conviction for possessing a stolen vehicle and obstructing an officer. In a published decision, the court decided to reverse the revocation of Howland's suspended sentence and remanded the case to the District Court with instructions to dismiss. One judge dissented. Howland had pled guilty to the charges in 2009 and was given a suspended sentence that included time in jail and fines. He was supposed to follow rules while on probation. However, the State accused him of not staying in touch with his probation officer after he got out of prison in New Mexico. In 2011, Howland admitted to the allegations, and the judge gave him more time to comply with the probation rules. When Howland didn't show up for a review hearing later, the judge revoked his suspended sentence in 2014. Howland then argued that he didn’t get good help from his lawyer during the revocation process and that the delays were unfair. The State also admitted that the delays hurt Howland's case. After looking at everything, the court agreed with Howland and decided to reverse the revocation. The case was sent back to the lower court to dismiss the revocation.

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F-2011-480

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In OCCA case No. F-2011-480, Huyen Ai Thi Tran appealed his conviction for perjury. In a published decision, the court decided to remand the case for correcting the fine but otherwise affirmed the conviction. One judge dissented. Ms. Tran was found guilty of perjury by a jury and was sentenced to ten years in prison, with three years to be served. Ms. Tran raised several issues in her appeal. She claimed that evidence from other crimes unfairly influenced the jury, which made her trial unfair. She argued that the trial court mentioned she was in custody for an unrelated matter and that her co-defendant talked about other crimes during the trial. However, the court found these issues did not have significant impact. She also argued that the prosecutor asked questions that brought up evidence about other crimes without proper warning, but the court decided these errors didn’t affect the outcome. Ms. Tran argued that her right to remain silent was violated when the jury heard that she had refused to answer questions in a previous case. The court noted that the trial judge intervened and instructed the jury to ignore that testimony. Another point Ms. Tran made was about her lawyer's failure to challenge a juror who was a police officer. Ms. Tran’s lawyer did not pursue this challenge, but the court found that it was not a serious issue since the juror was not working in law enforcement at the time of the trial. Ms. Tran then pointed out that the fine noted in the final judgment was different from what the court initially stated during sentencing. The court agreed to correct this mistake. Lastly, Ms. Tran suggested that all these issues combined created a harmful effect on her case. However, the court concluded that any significant errors were not enough to change the trial’s outcome due to strong evidence against her. The final decision required the correction of the fine in the records, but the conviction for perjury was largely upheld.

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F 2004-866

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In OCCA case No. F 2004-866, Ricky Dale Rawlins, Jr. appealed his conviction for Shooting with Intent to Kill. In an unpublished decision, the court decided to reverse and remand for a new trial in two of the three related cases, while affirming the conviction in the third case. One judge dissented. Ricky Dale Rawlins, Jr. was found guilty by a jury for offenses related to shooting at people, which included Assault and Battery with a Deadly Weapon and Shooting with Intent to Kill. The jury gave him a total of twelve years for the two Assault and Battery charges and twenty-five years for the shooting charge, which were to be served one after the other. Ricky raised several issues in his appeal. He argued that the trial court made mistakes, like not following the law to instruct the jury correctly on the charges. He claimed there wasn’t enough evidence to support his convictions and that he didn’t get good help from his lawyer. He also stated the prosecutor did wrong things during the trial and that some evidence shouldn't have been allowed. Additionally, he felt the instructions given to the jury about sentencing were confusing and that all the mistakes made during the trial added up to make it unfair for him. After looking closely at what Ricky said and the court records, the court agreed that he deserved a new trial for the Assault and Battery charges because the jury was wrongly instructed about the law. But for the Shooting with Intent to Kill charge, the court thought the evidence was enough to support that conviction, so they upheld it. The court decided that many of Ricky's claims about mistakes during the trial did not change the outcome for the Shooting charge, so it stayed as is. However, since there was a legal mistake about the Assault and Battery charges, those were thrown out, and he was ordered to be tried again. In conclusion, the final decision was to keep the conviction for Shooting with Intent to Kill and to conduct new trials for the other two charges.

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C-2005-1208

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In OCCA case No. C-2005-1208, Eric Evan Smith appealed his conviction for 30 counts of Possession of Obscene Material Involving the Participation of a Minor Under the Age of Eighteen. In a published decision, the court decided to grant his request to withdraw his plea and ordered a new hearing on the application to withdraw the plea. One judge dissented. Smith had pleaded guilty in a district court, where he was sentenced to twenty years in prison for each count, with the sentences to be served at the same time, but only serving the first fifteen years of each count. After some time, Smith wanted to change his plea and said it wasn't voluntary because he felt pressured by his attorney. His case was reviewed, and it was determined that there was a conflict between him and his lawyer. Smith argued that his lawyer made him plead guilty by suggesting he would get a lighter sentence if he did so. In the hearing, Smith asserted that his attorney had coerced him into the plea, while his attorney denied it. Because of the angry and conflicting testimonies, the judges believed there was a problem that affected Smith's rights to a fair trial and effective help from a lawyer. The court found that Smith's lawyer could not properly help him because of this conflict. This led them to decide that Smith deserved another chance to explain his case and why he wanted a different plea. The decision meant that Smith had the right to go back to court, where he could present his reasons for wanting to change his plea and have a new decision made on whether his original plea was fair and appropriate. The dissenting judge felt that the court should not have granted this new hearing, believing that Smith's plea was done properly and his lawyer's conflict did not significantly affect the case, arguing that there was no abuse of power in the original decision of the court.

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F-2004-82

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In OCCA case No. F-2004-82, Billy Dale Lathrop appealed his conviction for multiple crimes, including conspiracy to manufacture methamphetamine and child endangerment. In a published decision, the court decided to affirm the convictions for conspiracy, possession of methamphetamine, possession of precursor chemicals, and possession of paraphernalia, but to reverse the convictions for child endangerment. Three judges dissented regarding one of the convictions.

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F 2003-189

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In OCCA case No. F 2003-189, James Dean Meadows appealed his conviction for First Degree Murder. In an unpublished decision, the court decided to reverse and remand the case for a new trial. One judge dissented. James Dean Meadows was found guilty of First Degree Murder by a jury. The trial took place in Oklahoma City from February 10 to 18, 2003. The jury decided that he should spend life in prison for his crime. After being sentenced on February 21, 2003, Meadows appealed, bringing up five issues he believed were wrong with the trial. One of the key issues was about how his videotaped statement to the police was collected. Meadows argued that the police violated his rights by not properly informing him of his right to remain silent before they questioned him. He claimed that he was not voluntarily giving his statement, as he was taken from his home by police with guns drawn, and they did not tell him he was under arrest at the time. The police later interviewed him at their station, where they pressured him to admit his involvement in the crime. The court found that Meadows was indeed not free to leave when the police took him from his home, which meant that he was effectively under arrest without being formally informed. Because of this illegal seizure, the court ruled that his confession to the police could not be used as evidence against him. The court stated that such a confession was obtained without the rights requiring a formal warning being given to Meadows. Since the court decided that Meadow's confession was not admissible, the judgment against him was reversed, meaning he would have to be tried again. Because of this decision, the other issues raised in the appeal were not considered. In summary, the court determined that James Dean Meadows should have a new trial because the way the police obtained his confession was illegal and violated his rights.

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F-2001-1061

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In OCCA case No. F-2001-1061, Gibbs appealed his conviction for Driving Under the Influence of Intoxicating Liquor, Second or Subsequent Offense. In an unpublished decision, the court decided to affirm the conviction but modify the sentence to eight years in prison. One judge dissented. Gibbs was found guilty by a jury and sentenced to ten years, along with a fine and recommended counseling. Gibbs argued that the evidence against him wasn't enough to convict him. However, the court found the evidence sufficient to support the conviction. Gibbs' defense claimed he wasn’t driving under the influence; he said his car’s accelerator stuck and that someone gave him a ride home. He also stated that his sister saw him drinking at home. The prosecutor, during the trial, made errors when questioning Gibbs about the burden of proof and his rights. Even though there were issues with the prosecutor's comments, the court believed these mistakes did not greatly affect the overall outcome of the case. While the conviction remained, the court decided to lessen Gibbs' sentence due to the errors noted during the trial.

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F 2000-515

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In OCCA case No. F 2000-515, Larry Alan Schroeder appealed his conviction for multiple serious crimes including burglary and sexual offenses. In an unpublished decision, the court decided to affirm most of his convictions and sentences but reversed some related to specific counts due to insufficient evidence and legal issues. One judge dissented regarding the reversal of certain burglary counts, believing there was enough evidence to support those convictions. Ultimately, some charges were upheld while others were dismissed, shaping the outcome of the appeal.

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