F-2017-911

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In OCCA case No. F-2017-911, the appellant appealed his conviction for various offenses. In an unpublished decision, the court decided to affirm the termination of the appellant from the Drug Court program. One judge dissented. The case began when the appellant, previously convicted of two counts of Second Degree Burglary, was sentenced to twenty-one years for each count but with most of that time suspended. While under supervision, the appellant was accused of violating the terms of his release due to new criminal charges. He later pleaded guilty to those new charges as well. To avoid serving the full sentences, the appellant entered a Drug Court program aimed at helping him overcome substance abuse issues. However, after several years in the program, he faced multiple sanctions for drug use and missed compliance with program rules. Eventually, the state moved to terminate him from Drug Court, asserting he had violated several agreements tied to his participation. During the hearing to decide whether he should be removed from the program, the trial judge ultimately decided that the appellant had not adequately followed the rules and terminated his participation. The appellant then argued that the judge should have considered giving him additional chances rather than terminating him outright. The court checked to see if the trial judge had abused his discretion, meaning if the judge made a choice that was unreasonable or did not follow the law. The records showed the appellant had been sanctioned several times over his three years in the program, but he continued to struggle with drug use. The court found no evidence that the judge had failed to weigh all the necessary factors before deciding to end the appellant's time in Drug Court. In the end, the court affirmed the decision to terminate the appellant from the Drug Court program, stating that the earlier judgments regarding his sentence also needed no changes since the mistakes made in paperwork were corrected. Therefore, the appeal was largely dismissed as moot.

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S-2012-719

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In OCCA case No. S-2012-719, Robert Brooke appealed his conviction for Driving a Motor Vehicle While Under the Influence of Alcohol and Transporting an Open Bottle or Container of Liquor. In an unpublished decision, the court decided to affirm the lower court's order deferring judgment and sentence. One judge dissented. The case began when Robert Brooke was charged with DUI and another alcohol-related offense. He entered a guilty plea but had a disagreement about whether he must serve time in jail or undergo inpatient treatment. The lower court decided to defer his sentencing for five years and found that the law requiring jail time or inpatient treatment was not enforceable in this situation. The state argued that the law clearly required jail time or inpatient treatment since it was Brooke's second DUI-related charge. However, the court explained that since a plea deal did not count as a conviction, the conditions related to jail or treatment did not apply. Instead, they found that Brooke should follow the recommendations given from his alcohol assessment, which included certain programs, rather than being required to serve time. The court looked closely at the wording of the law and decided that the terms about jail time only apply when there is a conviction. Since they did not convict Brooke but only deferred his sentencing, those specific requirements did not apply to him. The court also mentioned that while the law could be seen as constitutional, it did not matter in this case since they determined it was not applicable. Thus, they upheld the lower court's decision, allowing Brooke to complete the programs without being sentenced to time in jail. The final judgment was to affirm the decision of the District Court, allowing Brooke to follow through with the treatment required instead of serving jail time.

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F 2006-443

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In OCCA case No. F 2006-443, Bill Neal Robison, II, appealed his conviction for causing an accident involving great bodily injury while driving under the influence of alcohol. In a published decision, the court decided to reverse the conviction and remand the case for a new trial. A judge dissented. Robison was found guilty in a trial that took place in Oklahoma County. The jury decided he should serve five years in prison and pay a fine of $5000. He appealed on two main points. First, he argued that the results of a blood test from the hospital should not have been used against him in court. Second, he claimed that his lawyer did not represent him properly. The court looked closely at Robison's first point and agreed that the blood test should not have been included as evidence. The test was done for medical reasons, and the court noted that it was not one of the specific tests approved for measuring alcohol levels under the law. The treating doctor testified that Robison's blood alcohol level was very high, but because the test did not follow the right rules, it could not be trusted as evidence in the trial. Since this test result was important for the case, the court could not ignore the mistake, which led them to reverse his conviction. They decided that Robison should have a new trial where this evidence would not be used against him. The second argument about the lawyer's performance was not needed since the court ordered a new trial. The final decision meant that Robison would go back to court for a fresh trial without the improper blood test evidence. The judges' opinions on the new trial varied, with one judge expressing disagreement with reversing the conviction based on the blood test's results.

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M 2007-0118

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In OCCA case No. M 2007-0118, the appellant appealed his conviction for public drunkenness. In an unpublished decision, the court decided to reverse the conviction and remand with instructions to dismiss. One judge dissented. Here’s a brief summary of what happened. The appellant was found guilty of public drunkenness after a bench trial in the Municipal Court of Oklahoma City. He was fined $69. The case began when the police received a noise complaint about the appellant's hotel suite, where he was hosting a group of kids for a football event. The kids had left earlier in the evening, and only a few adults remained. When the police arrived, they noted a strong smell of alcohol on the appellant. However, witnesses said they weren't drinking that night, including the appellant himself. During the trial, it was revealed that the appellant had a speech impediment, which may have been mistaken for drunkenness. Even though the police claimed the appellant was belligerent and had slurred speech, there was no strong evidence that he was actually intoxicated or causing any disturbance in a public place. The court found merit in the appellant's argument that there wasn't enough evidence to convict him of public intoxication. They concluded that he was not drunk while in a public area, as he was in a rented hotel suite at the time. Based on this, the court reversed the conviction and directed the lower court to dismiss the case.

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F-2001-785

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In OCCA case No. F-2001-785, Sammy Dewain Haas appealed his conviction for Operating a Motor Vehicle While Under the Influence of Alcohol and Driving Under Suspension. In a published decision, the court decided to affirm his conviction. One judge dissented. Sammy Dewain Haas faced serious charges for driving while drunk and for driving when his license was suspended. He went to trial in Beckham County, where a jury found him guilty. The punishment was set at ten years in prison and a $10,000 fine for the drunk driving charge, and one year and a $500 fine for the driving under suspension charge. The sentences were to be served at the same time. Haas raised several issues on appeal. First, he pointed out that the prosecutor wrongly argued that the jury should think about what he might do in the future instead of what he did this time. The court did not think this was a serious mistake that required a new trial. Second, he claimed that the jury should have been told about a lesser charge called Driving While Impaired, but the court found that the evidence did not support that. Haas also said the judge should have given instructions about using circumstantial evidence, which is when a conclusion is drawn based on the surrounding facts instead of direct evidence. While the court agreed that the instructions should have been given, they ruled that this mistake didn't affect the overall outcome of the trial. Finally, the court ordered that the official record be changed to correctly state that Haas's sentences were to run together, not one after the other. In the end, the court upheld the trial’s decision, meaning Haas would remain convicted and serve his sentence as planned.

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