F-2018-485

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In OCCA case No. F-2018-485, Scott Thomas Stout appealed his conviction for First Degree Rape and Sexual Battery. In an unpublished decision, the court decided to affirm the conviction. One judge dissented. Scott Thomas Stout was found guilty by a jury in Kay County for forcing himself on a long-time friend and for sexual battery. The jury did not find him guilty of two other charges of Rape by Instrumentation. The judge sentenced him to twenty years for the rape charge and four years for the sexual battery charge, which he must serve consecutively. Furthermore, he must serve at least 85% of his sentence before being considered for parole. Stout raised two main points in his appeal. First, he argued that the prosecutor acted improperly and that these actions denied him a fair trial. Second, he claimed that the trial court made a mistake by allowing the prosecution to call a witness in the middle of his defense to present evidence. In the first point, Stout pointed out three specific issues with the prosecutor's conduct. He said the prosecutor tried to make the jury feel sorry for the victim, asked questions that seemed to give opinions on the victim's credibility, and used first names for witnesses inappropriately. The court looked at all of the evidence and determined that these actions did not distract from the overall fairness of the trial. The jury acquitted Stout on two of the charges and recommended lighter sentences for the others. Therefore, the court ruled that Stout did not experience unfairness due to prosecutorial misconduct. Regarding the second point in his appeal, Stout argued that it was wrong for the prosecutor to cause the defense to stop its case to bring in a detective to verify some evidence. The court noted that the prosecutor's interruption was related to a question raised by Stout's own lawyer and that the trial judge had acted fairly in allowing it. The judge ruled that this did not disrupt the trial's fairness. In conclusion, the court found no errors in how the trial was conducted and affirmed Stout's conviction, meaning the original decision stood.

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S-2016-1142

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In OCCA case No. S-2016-1142, Cody Ray Lord appealed his conviction for Driving a Motor Vehicle Under the Influence of Drugs. In a published decision, the court decided to affirm the trial court's decision to suppress the blood test results. The trial court found that Lord was not capable of giving consent due to the effects of morphine he had received, which hindered his ability to make a decision regarding the blood test. The State had claimed there was no proof that Lord was unconscious and argued that the burden of proof should be on Lord, but the court found that sufficient evidence supported the trial court's conclusions. One judge dissented.

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M-2016-108

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In OCCA case No. M-2016-108, Marty Spence Duncan appealed his conviction for Domestic Abuse - Assault and Battery and Assault. In a published decision, the court decided to reverse Duncan's judgment and sentence and remand for a new trial because the record did not show that he had waived his right to a jury trial. One judge dissented.

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S-2013-718

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In OCCA case No. S-2013-718, Tutson and Heartfield appealed their conviction for Possession of a Controlled Dangerous Substance (Marijuana) With the Intent to Distribute and other related charges. In a published decision, the court decided to affirm the trial court's ruling to suppress evidence, which means they agreed that the evidence should not be used against Tutson and Heartfield because the consent to search was not clearly given. One judge dissented.

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F-2011-1019

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In OCCA case No. F-2011-1019, Timmy Howard Dickey appealed his conviction for Child Sexual Abuse. In an unpublished decision, the court decided to modify his conviction to Incest instead. Two judges dissented. Timmy Howard Dickey was tried by a jury and found guilty of Child Sexual Abuse. The trial occurred in the District Court of Caddo County, and the judge sentenced him to 5 years in prison. Dickey was charged with having sex with his 17-year-old niece, B.D. The charges came to light when B.D. reported to the police that Dickey had raped her. Dickey's main argument on appeal was about the definition of a person responsible for the health, safety, or welfare of a child. He claimed that the court didn't have enough evidence to show that he was in a position of responsibility for B.D. at the time of the incident, which was necessary for a conviction of Child Sexual Abuse according to the law. The court agreed with Dickey’s argument, stating that there wasn't enough proof that he was a custodian as defined by the law. The law categorized those responsible for a child’s welfare, and the court found that Dickey did not fit into these categories like parents or legal guardians do. Since the legal definition of custodian requires formal authority granted by a court, and Dickey did not have such authority, the court found his conviction for Child Sexual Abuse could not stand. Even though they found insufficient evidence for that specific charge, the court acknowledged that Dickey did commit a serious crime against B.D. They indicated that it would be more fitting to change his conviction to Incest, recognizing that Dickey admitted to having consensual sex with B.D. during an interview after the incident. Ultimately, the court decided to change Dickey's conviction from Child Sexual Abuse to Incest but kept the sentence at 5 years of imprisonment. The decision was made to send a strong message about the seriousness of the crime. In conclusion, Dickey's charge was modified to recognize the seriousness of his actions, but technically, he was incorrectly charged at first. The judges had different opinions on the case, with two of them disagreeing with the court's decision to alter the conviction.

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F-2008-1087

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In OCCA case No. F-2008-1087, Mitchell Dewayne Baker appealed his conviction for First Degree Rape and Domestic Assault and Battery by Strangulation. In an unpublished decision, the court decided to affirm the conviction but vacated the order for restitution, remanding the case to the district court for a proper determination of the victim's loss. One judge dissented. Baker was found guilty by a jury and was sentenced to ten years in prison for each offense, with the sentences ordered to run consecutively. The trial court also required him to pay restitution. Baker raised several issues in his appeal, claiming that the court had made errors during the trial process. One major issue was about the restitution ordered by the trial court, which Baker argued lacked factual support. The court acknowledged that the trial judge has discretion in deciding restitution, but determined that the record did not provide enough information to support the amount that was initially ordered. Therefore, while the conviction stood, the restitution order was removed, and the case was sent back to determine the correct restitution amount. Baker also challenged the prosecution’s use of evidence from his past crimes, saying it was unfairly used to paint him as a bad person. The court ruled that this evidence was allowed to help show that Baker’s explanation of how the victim got hurt was not credible. This was because his past behavior was relevant to his defense. Another point raised by Baker dealt with how the prosecutor questioned witnesses about their feelings during and after the incidents. The court said this questioning was relevant to establish the elements needed to prove the charges against Baker. They found no error in how this evidence was presented as it was crucial to the prosecution's case. Lastly, Baker pointed to some statements made by the prosecutor regarding the burden of proof. The court found that any mistakes were not serious enough to affect the fairness of the trial, as the jury was correctly informed about the burden of proof at several points. Overall, while the court upheld Baker's convictions, they took issue with the restitution ordered and directed that it be reassessed to ensure a fair determination.

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S-2009-235

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In OCCA case No. S-2009-235, Angel Chavez appealed his conviction for Trafficking in Illegal Drugs (Cocaine). In an unpublished decision, the court decided to affirm the trial court's ruling, which granted a motion to suppress evidence. The court found that the police officer did not have enough reason to keep Chavez detained after a traffic stop, meaning the search that followed was not valid. One judge dissented.

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F-2009-15

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In OCCA case No. F-2009-15, Alfred Burke, Jr. appealed his conviction for Kidnapping and Forcible Oral Sodomy. In an unpublished decision, the court decided to affirm his conviction but modified his sentence. One judge dissented. Burke was found guilty in Oklahoma County and received a very long sentence of 273 years for each crime, to be served one after the other. This was due to previous convictions he had. Burke disagreed with his punishment and claimed there were several mistakes made during his trial. He argued that a law he was judged under was unfair and went against his rights. He also said that evidence from a previous case should not have been shown in court. He thought his sentence was too harsh and believed that evidence from other crimes made the trial unfair. Finally, he believed that all the errors combined made it impossible for him to have a fair trial. The court looked closely at all of Burke's arguments. They found that the law he challenged was not unconstitutional. Most of the evidence against him was strong, especially the testimony from the person he victimized and DNA proof of his actions. However, the court agreed that showing evidence of his past crime likely impacted the jury's choice on punishment more than it should have. As a result, they changed his punishment to life imprisonment for both crimes, but now those sentences would be served at the same time instead of one after the other. The judges concluded that while there were some mistakes, they did not think these mistakes were enough to change his convictions. One judge did not agree with changing the sentences at all, believing the previous evidence was important for the case.

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F-2007-575

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In OCCA case No. F-2007-575, Jeffrey Marler appealed his conviction for three counts of Sexual Abuse of a Minor and one count of Possession of Child Pornography. In an unpublished decision, the court decided to modify the sentence for the possession count, vacate the fines imposed on all counts, and otherwise affirm the convictions. One judge dissented regarding the sentencing structure for the sexual abuse counts.

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S-2003-445

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In OCCA case No. S-2003-445, the State appealed the decision regarding Joey Dean Taylor's conviction for possession of a controlled substance (methamphetamine) and unlawful possession of paraphernalia. In a published decision, the court decided to affirm the lower court's ruling. One judge dissented. The case began when Joey Dean Taylor was a passenger in a pickup truck that was stopped by a deputy for speeding. During the stop, the deputy asked both the driver and Taylor if he could search them. The driver consented, but Taylor said yes to a pat-down search. After the search, the deputy found knives and a syringe in Taylor's pocket. Taylor was later arrested when methamphetamine was discovered in his hand at the jail. The lower court found that Taylor did not truly consent to the search, and the higher court agreed that the State did not provide enough evidence to show the consent was voluntary. They ruled that the earlier decisions were correct, and thus, they affirmed the lower court's ruling.

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F-2001-651

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In OCCA case No. F-2001-651, Vadell Lamont Wright appealed his conviction for Unauthorized Use of a Motor Vehicle and Using a Vehicle to Facilitate the Intentional Discharge of a Firearm. In an unpublished decision, the court decided to reverse the convictions. One judge dissented. Wright was found guilty by a jury and received a sentence of twenty years for the unauthorized use of a vehicle and twenty-five years for using a vehicle in connection with the discharge of a firearm, with both sentences to be served one after the other. He decided to appeal his convictions. The court reviewed several claims raised by Wright regarding his trial. The main issues included: 1. Seeing the defendant in handcuffs could have influenced the jury. 2. There was not enough evidence to say that Wright used the vehicle to make the shooting easier. 3. The court did not allow the defendant to explain his belief that he was allowed to use the car, known as a defense of mistake. 4. Evidence about other crimes affected Wright's right to a fair trial. 5. Communication between the jury and the trial judge was improper. 6. The trial court made mistakes regarding immunity for a co-defendant. 7. The jury was not given the option of lesser charges. 8. Overall, multiple errors deprived Wright of a fair trial. Focusing on the second issue, the court noted that Wright used a stolen vehicle to flee from police. He was in the vehicle with another person who fired a gun at an officer during the chase. However, the court found that simply using the car did not meet the legal requirement that it had to help make the shooting occur. There wasn’t enough evidence to show that the act of using the car was linked to the shooting directly. Additionally, in regards to possible mistakes about using the vehicle, the trial court's instructions did not help the jury understand what was being asked about having permission to use the car. Wright believed he had permission from the person who was with him and thought he could use the vehicle, but the trial court did not clearly explain this possibility to the jury. As a result, the court decided to reverse Wright's conviction for shooting from a vehicle and dismissed that charge. They also decided to send the Unauthorized Use of a Motor Vehicle charge back for a new trial, stating that the earlier jury did not get all the right information to make a fair decision. In conclusion, the court found that Wright should not have been convicted based on the evidence presented and that he deserved a chance to argue his case again in a new trial.

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