F-2018-893

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The case presented involves D'Angelo Landon Burgess, who appealed the acceleration of his deferred sentence stemming from a guilty plea to Grand Larceny. The Oklahoma County District Court had originally awarded him a five-year deferred sentence in 2013. However, in 2017, the State sought to accelerate this sentence due to new offenses, including a high-speed chase and the resulting charges. The appeal centers around a claim of a lack of diligent prosecution by the State, which Burgess argued deprived him of his due process rights. However, the court determined that there was no plain error, meaning that the proceedings followed legal protocols adequately and Burgess had not demonstrated harm from the timing of the acceleration hearing. The court affirmed the district court's decision, stating that accelerations of deferred sentences do not require the same level of due process protections as full criminal proceedings. The decision also referenced a related case in which Burgess faced serious charges, including first-degree murder, which is currently under appeal. The court's opinion concluded with affirming the order of the district court to accelerate Burgess's deferred sentence. In conclusion, the Oklahoma Court of Criminal Appeals upheld the acceleration of Burgess's sentence, ruling there was no violation of due process and that the district court acted within its discretion.

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F-2018-309

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In OCCA case No. F-2018-309, Adrian Escajeda appealed his conviction for Murder in the First Degree. In an unpublished decision, the court decided to affirm his conviction and sentence. One judge dissented. Adrian Escajeda was found guilty of first-degree murder by a jury and sentenced to life in prison. He was also convicted earlier of two drug possession charges, but those were not part of his appeal. During his trial, Escajeda claimed there were several errors that negatively impacted his case. First, he argued that it was wrong to have both his murder case and a separate child neglect case tried together in front of the same jury. He believed this made it hard for the jury to be fair. However, the court found that he didn't show how this joined trial actually harmed him because the jury had acquitted him of the child neglect charge. Additionally, the evidence against him for murder was very strong and unrelated to the child neglect, making the combined trial harmless. Escajeda also said his lawyer did not do a good job by not objecting to the charges being joined for trial. However, the court decided that his lawyer's performance wasn’t ineffective because there wasn’t any real prejudice; the outcome was not affected. The next point Escajeda raised was about some statements made during the trial. He believed hearsay was wrongly admitted, which violated his right to confront witnesses. The court looked into this and concluded that the statements in question were not hearsay, as they were used to explain the detective's investigation and did not assert the truth of those statements. Finally, Escajeda claimed that the prosecutor made unfair comments during the trial that made it hard for the jury to be impartial. The court examined these comments and found they were reasonable and based on the evidence presented. Since the comments did not create an unfair trial, the court dismissed this argument as well. In conclusion, the court reviewed all of Escajeda’s claims and found none of them warranted a change to his conviction or sentence. As a result, his conviction for first-degree murder remained in place, and he will serve the majority of his sentence in prison.

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C-2016-140

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In OCCA case No. C-2016-140, Hiram Frank Mutters appealed his conviction for Child Sexual Abuse. In a published decision, the court decided to grant him a new hearing. One judge dissented. Mutters pleaded no contest to Child Sexual Abuse on December 7, 2015, and was sentenced to fifteen years in prison and a fine. He later wanted to withdraw his plea, so he filed a motion. However, during the hearing for this motion, he was not present because he was taken to another facility. His lawyer thought Mutters would prefer to stay away from jail rather than return for the hearing. This decision meant that Mutters could not explain his reasons for wanting to withdraw his plea. The court found that it is very important for a person to be present during such hearings because their testimony is vital. Since Mutters was not there, the hearing did not meet the required standards for fairness. Thus, the court ruled that the case should go back for a new hearing where Mutters can be present to share his side of the story and explain why he thinks he should withdraw his plea.

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RE-2014-371

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In OCCA case No. RE-2014-371, Holland appealed his conviction for Rape in the Second Degree. In a published decision, the court decided to modify the revocation order regarding his suspended sentence. One judge dissented. Holland pleaded guilty to a crime and received a sentence that included five years of imprisonment, but with some of that time suspended as long as he followed rules set by the court. However, he did not follow these rules, such as reporting to his probation officer and attending required treatment. Because of this, the court revoked his suspended sentence and ordered him to serve the full five years. Holland felt the punishment was too harsh and claimed he had tried to follow the rules. He argued that he should not have to serve the full five years because only a part of that sentence was supposed to be enforced. The court looked carefully at his claims. They found that Holland had not fully complied with the rules he agreed to follow, and therefore, they believed the judge was correct in deciding to revoke his suspension. However, they agreed that the judge had made an error when stating he had to serve five years in prison since he had already served part of that time. Ultimately, the court decided to change the revocation order so that Holland would only need to serve four years and eleven months, which is the remaining part of his original sentence. The court confirmed their decision and instructed the District Court to make the necessary changes.

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F-2010-495

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In OCCA case No. F-2010-495, Marco Lamonte Carroll appealed his conviction for one count of Second Degree Felony Murder and two counts of Using a Vehicle to Facilitate the Discharge of a Firearm. In an unpublished decision, the court decided to affirm his convictions for Counts 1 and 3 but reverse Count 2 based on double jeopardy grounds. One judge dissented. Carroll was found guilty in a case related to a drive-by shooting that led to one person's death and another's injury. The evidence indicated that there were multiple guns in the vehicle, and shots were fired from more than one of them. The jury's conclusion that Carroll participated in the incident was deemed sufficient by the court. Carroll raised several reasons for his appeal. He argued that there wasn't enough evidence for the charge of Drive-by Shooting, which also supported his Second-Degree Murder conviction. He believed that the merger doctrine should mean his murder charge couldn't be based on the same act that caused the death, meaning his murder conviction should be vacated. He claimed that being convicted of both murder and using a vehicle to facilitate the shooting violated double jeopardy laws, which protect from being tried for the same crime twice. Finally, he argued that the trial court wrongly refused to give him credit for the time he spent in jail before the trial. After looking closely at all the arguments and the case records, the court upheld Carroll's convictions for Second Degree Murder and Using a Vehicle to Facilitate the Discharge of a Firearm related to the second shooting incident. However, they agreed that counting the charge for the first shooting incident separately violated double jeopardy principles, leading to the reversal of that conviction. Overall, while Carroll's main murder conviction and the second vehicle charge were confirmed, the charge of Using a Vehicle to Facilitate the Discharge of a Firearm from the first shooting was dismissed. The court concluded that the trial judge had functioned properly regarding the defendant's time served and did not find grounds to change that part of the decision.

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F-2008-97

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In OCCA case No. F-2008-97, the appellant appealed her conviction for child neglect. In an unpublished decision, the court decided to reverse her conviction. One judge dissented. The appellant, Kristie K. Thompson, was found guilty by a jury for not providing proper medical care for her child’s rash. The case was heard in the Stephens County District Court, where she was sentenced to six months in jail. She appealed the conviction for several reasons, including claims that the instructions given to the jury were incorrect and that she should have been given a chance for a lesser charge. After carefully reviewing the evidence and the arguments, the court found that there was not enough proof to show that she willfully neglected the medical needs of her child. They concluded that no reasonable person could have decided she was guilty based on the evidence. Therefore, they reversed her conviction and instructed the lower court to dismiss the case. Since they found a major error related to the evidence, the court decided not to address the other claims made by the appellant. The court issued their decision based on the principle that everyone deserves a fair trial and that guilt must be proven beyond a reasonable doubt.

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F-2007-340

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In OCCA case No. F-2007-340, Robert Dewayne Hayes, III appealed his conviction for First Degree Murder Youthful Offender, Shooting with Intent to Kill, and Assault with a Dangerous Weapon. In an unpublished decision, the court decided to affirm his convictions for First Degree Murder and Assault with a Dangerous Weapon, but reversed the conviction for Shooting with Intent to Kill with instructions to dismiss. One judge dissented.

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