RE-2018-89
In the case of Brandon Christopher Looney v. The State of Oklahoma, the Court of Criminal Appeals upheld the trial court's decision to revoke Looney's twenty-year suspended sentence based on multiple violations of probation. Looney had pled nolo contendere to assault and battery with a dangerous weapon, leading to a suspended sentence on the condition he comply with certain probation rules. The court reviewed allegations against Looney, including failing to report to his probation officer, changing his residence without notification, associating with convicted felons, failing a drug test, possessing weapons, and being charged with multiple offenses related to drug and firearm possession. At the revocation hearing, evidence was presented detailing these violations, including a deputy witnessing drug use and discovering firearms and drugs in the residence where Looney was staying. Looney argued that the judge erred in denying his demurrer regarding weapon-related allegations since the firearms were not found in his specific bedroom and there was no evidence he was aware of their presence. However, the court explained that as a convicted felon on probation, his residency rules prohibited him from firearms, regardless of awareness. The burden of proof for probation violations is a preponderance of evidence, and the trial judge's discretion to revoke the sentence was upheld. Looney also claimed that the judge did not consider lesser sentencing options and that the revocation was excessive. The court found no evidence that the judge neglected to consider alternatives and noted that Looney had repeatedly ignored probation requirements immediately after being placed on probation. Ultimately, the court denied all of Looney's propositions of error, concluding there were no abuses of discretion or violations of due process. Therefore, the order to revoke his suspended sentence was affirmed.