F-2009-525

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In OCCA case No. F-2009-525, Sparks appealed his conviction for Second Degree Murder, Unlawful Delivery of a Controlled Drug, and Unlawful Removal of a Dead Body. In a published decision, the court decided to affirm the convictions for Counts 2 and 3 but reversed and remanded Count 1, with instructions to dismiss. One judge dissented regarding Count 1. The case involved Nathan David Sparks, who was tried and found guilty in Osage County. The jury decided that he should spend ten years in prison for Second Degree Murder, along with a fine for delivering a controlled substance and a year in county jail for improperly handling a dead body. The trial judge followed the jury's recommendations. The appeal focused on several issues, including whether there was enough evidence to support a conviction for Second Degree Murder. During the trial, the prosecution argued that Sparks gave methamphetamine to a woman who later died from it, claiming they had a close relationship and that he knew about her health issues. Sparks argued that the evidence did not strongly support the idea that his actions were extremely dangerous. The court reviewed prior cases and determined that not every case of delivering drugs resulting in death is automatically Second Degree Murder. They explained that for a murder charge to stick, the actions must show a clear disregard for life. They found that in Sparks' case, while he knew the victim had health problems, there wasn't enough evidence to prove his actions were dangerously reckless enough to warrant a murder conviction. Each of Sparks' other issues was also reviewed. They found some testimony was not directly related to the case, but since the evidence for Counts 2 and 3 was strong, it did not change the outcome. They determined that there was no misconduct during the trial and that Sparks had adequate legal representation. In summary, the court upheld Sparks' convictions for the drug delivery and body removal but did not find strong enough evidence for the murder charge, leading to its dismissal. One judge disagreed, believing the evidence was sufficient to uphold the murder charge due to Sparks' knowledge of the victim's health issues.

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F-2004-1188

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In OCCA case No. F-2004-1188, Daniel Allen Moore appealed his conviction for First Degree Murder. In an unpublished decision, the court decided to affirm the conviction but remanded the case for resentencing due to a jury instruction error. One judge dissented. On June 9, 2003, Daniel Allen Moore shot 24-year-old Garade Jean Girsback in front of a mobile home where she was babysitting. Girsback was related to Moore's wife and had often lived with their family. That evening, Moore hosted a barbecue and was drinking. Witnesses heard him express anger towards Girsback and make threats about killing her. After becoming upset during their conversation, Moore accidentally fired his gun, hitting Girsback. Moore and his wife left without trying to help, and he disposed of the gun. Later, he told a neighbor it was an accident and claimed he only meant to scare Girsback. The main question during the trial was whether Moore had intended to kill Girsback or whether her death was due to recklessness or negligence. The court found that there was an error because the jury was not properly informed about the punishment options for first-degree murder, specifically failing to instruct that life with the possibility of parole was an option. The state agreed this instruction was missed, but they argued it did not affect the outcome because the defense had mentioned the options during closing arguments. The court decided that the jury's confusion could have influenced their decision, especially since they only deliberated briefly before returning a verdict and sentencing Moore to life without parole. Because of this, the case was sent back for a new sentencing hearing with the correct instructions provided to the jury. Additionally, the court addressed other claims by Moore, like the admission of his statements to police. It concluded these statements were allowed for impeachment purposes and did not violate his rights, as they were spontaneous comments. The defendant also argued there was insufficient evidence and that various errors during trial warranted a different outcome, but the court found that while there were errors, they did not combine to affect the fairness of the trial significantly. In summary, the court upheld the conviction but required that the sentencing be done again with proper jury instructions about the punishments available to them.

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