F-2019-912

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In OCCA case No. F-2019-912, Charles Issac Jacobs appealed his conviction for Aggravated Assault and Battery. In an unpublished decision, the court decided to affirm the Judgment and Sentence of the district court. One judge dissented. Jacobs was charged in McCurtain County after a jury found him guilty and sentenced him to two years in prison. During his appeal, he raised several points: 1. **Jurisdiction**: Jacobs argued that the State did not have authority to prosecute him because the victim was an Indian, and the crime happened in Indian Country. The trial court found that Jacobs was not an Indian according to legal standards, while the victim was. The court also determined that the crime took place within the boundaries of the Choctaw Reservation, meaning the State had the jurisdiction to proceed with the case. 2. **Self-Defense**: Jacobs claimed that he acted in self-defense when he assaulted the victim. The court noted that self-defense is a legal reason for actions that would typically be considered crimes. However, the court found there was enough evidence to show that Jacobs did not have a reasonable belief that he was in danger when he attacked the victim. 3. **Jury Instructions**: Jacobs requested that the jury be given a specific instruction about standing your ground during the trial. The court stated that whether to give specific jury instructions is up to the trial judge. They found that Jacobs did not meet the legal requirements for this instruction because there wasn’t enough evidence showing he was in a situation where he could lawfully defend himself. 4. **Monetary Fine**: At sentencing, the jury did not impose a fine, but the court record incorrectly showed a fine of $500 was imposed. The State and Jacobs both agreed that this was a mistake. The court instructed that this clerical error should be corrected. The main decision reached by the court was that Jacobs' conviction was upheld. They affirmed that the State had the right to prosecute him, and there was sufficient evidence to support his conviction. However, the court also ordered that the punishment record should be corrected to show that no fine was actually imposed.

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F-2017-1300

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In OCCA case No. F-2017-1300, Emmitt G. Sam appealed his conviction for first-degree murder and robbery with a firearm. In an unpublished decision, the court decided to reverse the convictions and remand the case with instructions to dismiss. One judge dissented. Emmitt G. Sam was found guilty of committing serious crimes in Tulsa County. The jury decided his punishment would be life in prison for murder and several years for the robberies, with fines. However, during his appeal, he raised important questions about whether he should have been tried in state court at all. Sam argued that he is a member of the Cherokee Nation and that his crimes occurred in an area recognized as Indian land. He claimed that under previous court rulings, the state did not have the authority to prosecute him because those crimes fell under federal jurisdiction due to their location on Indian territory. The court needed to determine two main things: if Sam is considered an Indian and if the crimes happened within the historic boundaries of the Creek Nation's Reservation. After looking into these questions, the trial court found that Sam had Indian blood and was recognized as an Indian by his tribe, even though he was not formally enrolled at the time of the crimes. The parties agreed the crimes took place in Indian Country. The trial court examined evidence presented in a hearing, including testimonies from witnesses who said that Sam was part of the Cherokee community and received benefits meant for Native Americans throughout his childhood. The evidence showed he lived in a supportive environment that aligned with his claims of being recognized by his tribe. Since the appeals court agreed with the trial court's findings, it ruled that Sam could not be prosecuted by the state but instead should face trial in federal court, where such cases are decided for crimes committed on Indian lands. As a result, the earlier judgments and sentences against Sam were overturned, and the case was sent back for dismissal by the district court. The ruling highlighted the intersection of state and federal law regarding Indian affairs, confirming that the rights of Native Americans must be respected within the court system.

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F-2017-635

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In OCCA case No. F-2017-635, Shaynna Lauren Sims appealed her conviction for several crimes, including knowingly concealing stolen property and first-degree burglary. In an unpublished decision, the court decided to reverse the judgments and sentences against Sims, concluding that the State did not have jurisdiction to prosecute her. The situation involved a victim who was an enrolled member of the Muscogee (Creek) Nation, and the crimes occurred within the Creek Nation's boundaries. Therefore, the case was remanded with instructions to dismiss the charges. One judge dissented, expressing a different opinion about the jurisdiction issues related to the case.

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F-2017-1294

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In OCCA case No. F-2017-1294, #1 appealed his conviction for #2. In an unpublished decision, the court decided #3. #4 dissented. The case involved Terrance Lucas Cottingham, who was found guilty of robbery with a dangerous weapon after having been previously convicted of two or more felonies. The conviction took place in the District Court of Washington County, where he was sentenced to 25 years in prison. He would have to serve 85% of his sentence before being eligible for parole. Cottingham argued that the court did not have the right to prosecute him because of his status as a member of the Osage Nation and because the crime occurred in what he believed to be Indian Country, specifically the Cherokee Nation's boundaries. He cited a federal law and a Supreme Court decision, McGirt v. Oklahoma, to support his argument. The Oklahoma Court of Criminal Appeals decided to send Cottingham's case back to the lower court for a hearing to examine his Indian status and the location of the robbery. They said that Cottingham needed to show that he had Indian blood and was recognized as an Indian by the tribe or by the federal government. If he could prove this, then it would be up to the state to show that it had jurisdiction to prosecute him. During the hearing, Cottingham and the Cherokee Nation agreed on certain facts. They confirmed that he had a degree of Indian blood and was a member of the Osage Nation at the time of the robbery. They also agreed that the robbery happened within the geographic area defined by treaties establishing the Cherokee Nation. The court found that Cottingham was indeed a member of the Osage Nation and that the robbery occurred in Indian Country based on their analysis of the law and treaties. This evidence showed that the state of Oklahoma did not have the legal right to prosecute Cottingham for the crime. The appeals court ultimately agreed with the findings of the lower court and concluded that Oklahoma did not have jurisdiction over the case. Therefore, they reversed Cottingham's conviction and instructed the District Court to dismiss the case. In summary, Cottingham's conviction was undone because it was determined that he was an Indian and that the crime took place in Indian Country. Consequently, the state court did not have the authority to prosecute him.

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F-2017-1279

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In OCCA case No. F-2017-1279, Dakota James Alleyn Shriver appealed his conviction for Second Degree Murder, Accessory After the Fact, and misdemeanor Obstructing an Officer. In an unpublished decision, the court decided that the State of Oklahoma did not have jurisdiction to prosecute him. One judge dissented. Dakota Shriver was found guilty by a jury and sentenced to serve time for various charges. Shriver argued that he should not have been tried in state court because he is a citizen of the Cherokee Nation and the crime happened on land that is considered Indian Country. This argument was based on a previous case, McGirt v. Oklahoma, which changed how some crimes are viewed depending on whether they happen on Native American land. The court decided to look into these claims further and sent the case back to the lower court to gather more information. The lower court held a hearing to determine if Shriver was indeed an Indian and if the crime occurred on a reservation. After the hearing, the lower court found Shriver was a member of the Cherokee Nation and that the crime did happen within the boundaries set for the reservation. The evidence showed that Shriver had a certain amount of Cherokee blood and was a recognized member of the Cherokee Nation at the time of the crime. The court found that the United States Congress had established a reservation for the Cherokee Nation, and no evidence existed to prove that Congress had removed those boundaries. Both parties were allowed to respond to the findings from the lower court. Shriver's team argued that the court should agree with the lower court's findings because they were backed by the evidence presented. The state agreed with these findings but asked for time to look at the case again in terms of whether they could charge Shriver under different laws. After considering everything, the court agreed with the findings of the lower court and decided that the state did not have the right to prosecute Shriver. Therefore, they overturned the convictions and told the lower court to dismiss the case.

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F-2017-1245

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In OCCA case No. F-2017-1245, Jeffery Arch Jones appealed his conviction for five counts of Sexual Abuse-Child Under 12. In an unpublished decision, the court decided that the State of Oklahoma did not have jurisdiction to prosecute him because he is a member of the Cherokee Nation, and the crimes occurred within the boundaries of the Creek Reservation. The conviction and sentence were reversed, and the case was remanded with instructions to dismiss. One judge dissented.

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C-2017-1223

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In OCCA case No. C-2017-1223, Travis Dray Stewart appealed his conviction for Child Sexual Abuse, After Former Conviction of Two Felonies. In an unpublished decision, the court decided that the State of Oklahoma did not have jurisdiction to prosecute Stewart because he is an Indian and the crimes occurred on a reservation. The judgment against Stewart was reversed and the case was sent back to court with instructions to dismiss it. One member of the court dissented.

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