F-2018-308

  • Post author:
  • Post category:F

In OCCA case No. F-2018-308, Deondrea Deshawn Thompson appealed his conviction for multiple counts related to robbery and possession of a firearm. In an unpublished decision, the court decided to affirm the conviction. One judge dissented. Thompson was found guilty by a jury for several crimes, including robbery with a firearm, attempted robbery, and being a felon in possession of a firearm. He was sentenced to a total of thirty-five years for the robbery counts and seven years for the other counts, with the sentences to run consecutively. Thompson raised multiple issues on appeal, including claims that he did not receive a fair trial because crucial evidence was kept from him, racial discrimination occurred during jury selection, and that the trial court made several errors in admitting evidence. The court addressed these issues one by one. It found that the trial court did not err in keeping the name of a confidential informant from Thompson since it was not shown to be necessary for his defense. The court also found that the State's reasons for excluding certain jurors were race-neutral and did not indicate discriminatory intent. Regarding the trial court's questioning of jurors, the court concluded that it did not improperly influence the jury. As for evidence related to cell phone records collected without a warrant, the court determined that the police acted in good faith based on laws that existed at the time. Thompson argued that other testimony during the trial unfairly presented him as having committed other bad acts, but the court found no abuse of discretion in how the trial was handled. The court also concluded that the trial court's decision not to give certain jury instructions on eyewitness identification was within its discretion since the identification was firm enough in this case. Thompson's claim about having multiple cases tried together was also rejected, as the court noted that the robberies were similar in nature and occurred close together in time. Finally, the court ruled that his separate firearm possession conviction did not violate double jeopardy laws. In summary, the court affirmed Thompson's conviction, saying that none of the claimed errors were significant enough to harm his case.

Continue ReadingF-2018-308

F-2017-769

  • Post author:
  • Post category:F

In OCCA case No. F-2017-769, Tyrees Dotson appealed his conviction for Murder in the Second Degree. In a published decision, the court decided to affirm Dotson's conviction and sentence. One judge dissented. Tyrees Dotson was found guilty of Murder in the Second Degree after a trial in which he received a sentence of thirty years in prison. The judge ordered that this sentence would start after he completed another sentence he was already serving. During the trial, Dotson raised several issues. First, he argued that it was unfair for the court to allow the jury to hear a witness's earlier testimony instead of having the witness speak during the trial. Dotson thought this hurt his case. However, the court found that the state had tried hard to find the missing witness and was fair in allowing the earlier testimony. Dotson also claimed there were problems with other evidence presented during the trial. He believed that some photos of the victim were too much and could make the jury feel very emotional instead of making a fair decision. The court disagreed and said that the evidence was important to explain the situation. Another issue Dotson raised was that the state unfairly removed some black jurors from the jury. The court looked at this claim and found that the state's reasons for removing those jurors were based on valid, non-racial reasons. Dotson also said that his lawyer did not do a good job defending him, which made it unfair. The court found no evidence that his lawyer's actions harmed his case. Finally, Dotson felt that all the mistakes in the trial added up to make it unfair. However, since the court found no significant errors, they decided that there was also no cumulative error. Overall, the court concluded that Dotson's conviction and sentence were valid and went on to say that a small error in the paperwork needed fixing but did not affect the outcome of the case. Thus, his appeal was turned down.

Continue ReadingF-2017-769

F-2017-599

  • Post author:
  • Post category:F

In OCCA case No. F-2017-599, Christopher Michael Hildebrandt appealed his conviction for First Degree Rape of a Child under 14, Forcible Sodomy, and Abduction of a Person Under 15. In an unpublished decision, the court decided to affirm the convictions but vacated the assessment of prosecution reimbursement costs of $960.00. One judge dissented. The case involved a jury trial where Hildebrandt was found guilty of serious charges against a minor. The jury recommended sentences of 25 years for the first charge, 20 years for the second, and 5 years for the third, all of which were to be served one after the other. Hildebrandt raised several reasons for his appeal. He claimed that evidence from his car was obtained illegally because law enforcement acted outside their jurisdiction. However, the court determined that even if the car was seized unlawfully, the subsequent search conducted with a warrant made the evidence valid. He also argued that the jury selection was unfair because two minority jurors were removed based on race. The court found that the reasons given for their removal were valid and not racially biased. Furthermore, Hildebrandt pointed out that an emotional outburst from the victim's father during the trial could have influenced the jury. The court ruled that there was no need for the judge to inquire about the impact of the outburst because steps were taken to address the situation. He challenged the foundation for evidence presented at trial and whether he received proper notice of the charges. The court found that challenges to evidence would not have changed the outcome of the trial. Hildebrandt also asserted that his defense attorney did not help him adequately during the trial, but the court disagreed, noting that any objection his attorney might have made would have likely been denied. Lastly, he argued that his sentences were too harsh and should have been served concurrently instead of consecutively. The court upheld the sentences as appropriate given the serious nature of the crimes. However, they acknowledged that the assessment for reimbursement costs was incorrectly applied, leading to the decision to remove that specific charge. In conclusion, while the court found some merit in Hildebrandt's claims regarding prosecution reimbursement costs, they ruled that the convictions and the sentences were legally justified.

Continue ReadingF-2017-599