F-2018-243

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In OCCA case No. F-2018-243, Ivan Luna-Gonzales appealed his conviction for Domestic Assault and Battery with a Dangerous Weapon. In a published decision, the court decided to affirm the trial court's judgment and sentence. One judge dissented. The case involved a serious incident where Luna-Gonzales attacked the mother of his child with a two-by-four, causing her significant injuries that required medical treatment. After the attack, he attempted to escape but was later found by the police. At the trial, Luna-Gonzales denied the assault and tried to claim that the victim had hurt herself. However, the evidence presented showed otherwise. A central issue in the appeal was whether Luna-Gonzales should receive credit for the time he spent in jail while awaiting his trial. He argued that the trial court made a mistake by not giving him this credit. The relevant law states that certain credits for time served apply but focus on time after sentencing—not while someone is waiting for their trial. The court explained that the statute referenced by Luna-Gonzales did not apply to the time he spent in jail before his judgment and sentence. Instead, it was meant to address the time inmates spend in jail after sentencing. The court emphasized that the trial judge has the discretion to decide on jail credit, which is not automatically given. In Luna-Gonzales’s case, the court found no fault with the trial court's decision. His longer time in jail was largely due to an immigration hold, which prevented his release. The court also noted that he did not cooperate with a required investigation before sentencing. Therefore, the court concluded that the trial court acted within its rights, and the appeal was denied. Ultimately, the judgment from the Payne County District Court was upheld, meaning Luna-Gonzales would serve his sentence without the additional jail credits he sought.

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F-2011-460

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In OCCA case No. F-2011-460, Tate appealed his conviction for multiple offenses including Attempting to Elude a Police Officer and Running a Roadblock. In an unpublished decision, the court decided to affirm some convictions and reverse others. One judge dissented. Tate was found guilty of trying to get away from the police and running through roadblocks. He also faced charges for assaulting a police officer. The jury recommended sentences which included prison time and fines. Tate argued that he should not be punished for multiple offenses when they stemmed from the same action of fleeing from police, claiming this violated laws against double punishment. The court reviewed the evidence and decided that, while some of Tate's claims were valid, such as his objections to being convicted for both Obstructing and Resisting an Officer, other aspects did not warrant reversal. The judges agreed that being punished separately for Attempting to Elude and for Assaulting an Officer was acceptable because they involved different actions. Overall, the court upheld the conviction on some counts, but reversed others due to overlapping aspects of Tate’s actions. The discussion highlighted the importance of careful laws around double jeopardy to ensure fair punishment.

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F-2008-1016

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In OCCA case No. F-2008-1016, Robert C. Ferrell appealed his conviction for trafficking in controlled substances (MDMA, or Ecstasy) and possession of an offensive weapon in the commission of a felony. In an unpublished decision, the court decided to affirm the convictions, but remand for correction of the Judgment and Sentence. One judge dissented. Robert C. Ferrell was found guilty by a jury in McIntosh County. The jury decided that he was guilty of two serious crimes: having a large amount of drugs and having firearms in a way that was illegal. The judge then sentenced him to serve twenty years in prison for the drug crime and thirty-five years for the weapon charge. These sentences would be served one after the other, making a total of fifty-five years in prison. Ferrell raised several points in his appeal. He argued that the evidence against him was not strong enough to support his convictions. He also thought that his lawyer did not help him enough during the trial. He believed his punishment was too harsh. Additionally, he stated that the court made errors when it added costs related to charges he wasn't even tried for, and that the prosecutor did not act fairly. After looking carefully at everything, the court agreed that the evidence showed that Ferrell had shared control over the drugs and firearms discovered during a police chase. The police had seen guns and heard conversations that suggested he was involved in wrongdoing. The court determined that this evidence was enough for a reasonable person to find him guilty. The appeal also discussed whether Ferrell's lawyer had failed him by not challenging a witness's statements or trying to block certain pieces of evidence. However, the court felt that the lawyer's actions did not affect the outcome of the case. Ferrell asked the court to change his punishment, but they decided the sentences were reasonable given his past actions. As for the other points he made about the fines and counts that were wrong, the court agreed that some costs should be removed because he was not convicted of all those charges. They also acknowledged a mistake in the legal reference for the drug charge. In the end, the court upheld Ferrell's convictions, but they sent the case back to make corrections to the official records. They found that there were no major errors that would change the outcome of the trial, so the convictions remained intact.

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