**Summary of the Case: Jeremy Dwayne Lavorchek v. State of Oklahoma** **Court:** Oklahoma Court of Criminal Appeals
**Case Number:** F-2018-263
**Decision Date:** June 13, 2019 **Overview:**
Jeremy Dwayne Lavorchek was convicted by a jury in Garvin County for multiple crimes associated with an armed robbery at a pharmacy. The jury found him guilty on all counts, which included First Degree Robbery, Use of a Firearm in the Commission of a Felony, Conspiracy to Commit a Felony, multiple counts of Kidnapping, and multiple counts of Assault with a Dangerous Weapon. Following these convictions, the jury recommended life sentences on all counts. **Key Crimes Committed (Counts):**
1. First Degree Robbery
2. Use of a Firearm in the Commission of a Felony
3. Conspiracy to Commit a Felony
4-6. Kidnapping (3 counts)
7-9. Assault with a Dangerous Weapon (3 counts) **Sentencing:**
The trial court, upon sentencing, ordered the sentences for counts 2 through 9 to run concurrently but consecutively to Count 1, which meant that Lavorchek must serve 85% of the life sentence for the robbery before becoming eligible for parole. **Propositions of Error Raised on Appeal:**
Lavorchek raised eight propositions, primarily focusing on claims of double punishment, denial of self-representation, ineffective assistance of counsel, errors in sentencing, and cumulative effect of errors. 1. **Double Punishment Allegations:** Lavorchek argued that his convictions for robbery and the various assaults and kidnappings constituted double punishment. The court rejected these claims, emphasizing that the crimes were distinct and occurred sequentially, and separate punishments were authorized. 2. **Self-Representation:** He contended he was denied the right to represent himself. However, the court upheld the trial judge's discretion, stating Lavorchek's request was made after the trial had already commenced, which could be seen as an abuse of the privilege. 3. **Ineffective Assistance of Counsel:** Lavorchek claimed a continuance was wrongly denied, affecting his counsel's performance. The court found no constitutional deficiency as the counsel performed effectively under the circumstances. 4. **Fair Sentencing Hearing:** He alleged improper consideration of aggravating evidence at sentencing. The court found that the information presented was appropriate. 5. **Consecutive Sentencing:** Lavorchek argued the trial court abused its discretion by ordering consecutive sentences, but the court ruled this was within the judge's authority and not excessive. 6. **Cumulative Error:** The court ruled there was no error to accumulate since all propositions were denied. **Outcome:**
The Oklahoma Court of Criminal Appeals affirmed the trial court's judgment and sentence, indicating that Lavorchek received a fair trial and proper sentencing under the law. **Legal Principles Involved:**
- Double jeopardy protections
- Right to self-representation
- Effective assistance of counsel
- Sentencing discretion of trial courts
- Cumulative error doctrine The case underscores the judicial principles guiding the implications of multiple charges arising from a single criminal event and the procedural safeguards in criminal trials. **Link:** For further reference, the full opinion can be found at [Oklahoma Court of Criminal Appeals](https://opinions.wirthlawoffice.com/wp-content/uploads/J-2019-0092_1734447399.pdf).