F-2010-131

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In OCCA case No. F-2010-131, Darius Darrell Payne appealed his conviction for trafficking in illegal drugs, possession of a firearm after a felony conviction, unlawful possession of marijuana (second offense), failure to obtain a drug tax stamp, and possession of paraphernalia. In a published decision, the court decided to affirm Payne's convictions on all counts but remanded the matter for a new sentencing proceeding on certain counts due to errors in jury instructions. One judge dissented. The case began when police officers went to a house where Payne was present, looking for a man with an arrest warrant. When they entered, they found illegal drugs, a gun, and cash, leading to Payne's arrest. During the trial, the jury found Payne guilty on multiple charges and set significant punishment for his crimes, including life in prison without the possibility of parole for the drug trafficking offense. Payne raised several issues on appeal. He argued that being punished for both trafficking and failure to obtain a drug tax stamp for the same drugs was unfair and violated laws against double punishment. The court found that the laws allowed for separate punishments, so this argument was rejected. Payne also claimed that the jury wasn't properly instructed about the requirements for his life sentence. The court agreed that the instruction was incorrect, leading to a ruling that he should have a new sentencing hearing for this and another charge related to marijuana possession. Additionally, the court noted that the trial court should not have separated the misdemeanor charge regarding drug paraphernalia, which led to a penalty that was likely influenced by prior convictions that weren't relevant for that specific charge. As a result, the court reduced his sentence for possession of paraphernalia from one year to three months. Lastly, there were also some mistakes on the official documents from the trial that needed to be corrected, such as the wrong section numbers and indications of pleading guilty that were factually incorrect. In summary, while Payne's convictions were upheld, the court found that certain errors related to sentencing and jury instructions necessitated further proceedings. The final decision called for changes to some sentences while affirming others.

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F-2010-99

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In OCCA case No. F-2010-99, Sheila Diane Royal appealed her conviction for multiple drug-related offenses. In an unpublished decision, the court decided to affirm all of Royal's convictions but to modify her sentence for one of the misdemeanor charges due to a procedural error during her trial. One judge dissented. Royal was found guilty by a jury of trafficking in illegal drugs, possession of a firearm after a felony conviction, unlawful possession of marijuana (second offense), failure to obtain a drug tax stamp, and possession of paraphernalia. The jury determined that Royal had prior felony convictions, which enhanced her sentence. Royal received a life sentence without parole for the drug trafficking charge, among other sentences for the remaining charges. The case began when police officers went to Royal's house to look for a man with a warrant. Royal and her boyfriend denied knowing him and gave consent for the officers to search. During the search, officers found scales, crack cocaine, marijuana, a firearm, and a large amount of cash, leading to Royal's arrest. Royal raised several issues on appeal, including claims of multiple punishments for the trafficking and tax stamp offenses, the proper handling of her prior convictions during the trial, and the way the trial court conducted jury selection. The court found that the convictions for trafficking and failing to obtain a tax stamp did not violate double jeopardy rules because the laws intended for separate punishments. It also concluded that Royal did not make a sufficient objection to how her prior convictions were handled, thus denying her request for relief. Regarding the claim about possession of paraphernalia, the court agreed that the trial court made a mistake by improperly separating the trial stages, which influenced the jury's punishment decision. The court modified her sentence for this charge accordingly. The jury selection process was also scrutinized, but the court upheld the removal of certain jurors who may not have been impartial due to their own legal issues. Lastly, the court noted that Royal was required to wear a shock device during trial, which raised concerns under legal rules governing restraints on defendants. The court agreed that there wasn't enough evidence justifying the need for such restraint, but because it was not visible to the jury, it did not affect the trial's outcome. In summary, while Royal's convictions were largely upheld, the court made adjustments based on procedural concerns during her trial.

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F-2006-854

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In OCCA case No. F-2006-854, Delbert L. Gibson appealed his conviction for two counts of lewd molestation. In a published decision, the court decided to affirm his conviction but modified his sentence to twenty-five years imprisonment on each count, to be served concurrently. One judge dissented. Gibson was found guilty of sexually fondling two young girls, aged thirteen and eleven, in September 2002. During the incident, Gibson followed the older girl into a bedroom and began to fondle her. The younger girl was also fondled shortly after. The girls told their mother about the incident and reported it to the police. Gibson raised four main points of error during his appeal. The first claimed he did not receive a speedy trial. The court looked at how long he waited for the trial, why there was a delay, whether he asked for a quick trial, and if the delay harmed his case. Gibson was charged in November 2002 but was not arrested until March 2005, with the trial occurring in June 2006. The court found that even though the delay seemed long, Gibson did not complain about it before the trial, which hurt his argument. Therefore, the court believed he was not denied a speedy trial. Gibson's second point was about other-crimes evidence that was presented during his trial. The state brought up a past incident where Gibson had fondled a ten-year-old girl while working as a school photographer twenty years earlier. The court agreed that this evidence was probably not properly connected to the current case but felt it did not significantly impact the jury’s decision, especially since the two young girls provided strong testimonies. In his third point, Gibson argued the jury was incorrectly instructed on the penalties for his crimes. He believed that the law didn’t support a mandatory life sentence without parole based on the charges brought against him. The court analyzed the laws and determined that the proper penalties did not include mandatory life sentences, leading them to modify his sentence instead. Finally, Gibson claimed that all these problems together denied him a fair trial. Since the court found no major errors, the cumulative effect claim was also denied. Overall, the court upheld Gibson's conviction for molestation, but changed his sentence to a total of twenty-five years in prison instead of life without parole.

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F-2005-814

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In OCCA case No. F-2005-814, James Joseph Wymer appealed his conviction for First Degree Burglary. In an unpublished decision, the court decided to affirm the conviction but modify the sentence. One judge dissented. Wymer was found guilty by a jury and sentenced to forty-five years in prison. He argued that the jury was not fully instructed about the law regarding his sentence, which meant he wasn't told he had to serve eighty-five percent of it. He also felt that his sentence was too long and that the evidence against him wasn't strong enough to prove he was guilty beyond a reasonable doubt. After looking closely at both the facts and the law, the court believed that the jury should have been informed about the eighty-five percent rule, but they did not think this mistake was enough to set aside the conviction. Therefore, they decided to lower Wymer's sentence from forty-five years to thirty-five years. The court also considered whether his sentence was excessive. They found that given Wymer's past convictions, the sentence was fair and not shocking or unreasonable. Finally, they reviewed the evidence and concluded that there was enough proof to show that Wymer took part in the burglary rather than just standing by. The final decision was to keep the conviction but change the punishment to thirty-five years.

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F-2004-682

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In OCCA case No. F-2004-682, Felix Finley, IV appealed his conviction for Manslaughter in the First Degree. In an unpublished decision, the court decided to affirm his conviction but reversed and remanded the case for resentencing. One member of the court dissented. Finley had been tried by a jury and found guilty of Manslaughter after he stabbed a man during a fight. He argued that he acted in self-defense because the other man was bigger, older, and hitting him. He raised several issues in his appeal, asking why the jury instructions on self-defense were not clear enough and arguing that evidence presented against him was unfair. The court reviewed the case closely. They found the jury's instruction about self-defense was correct and that the evidence indeed indicated that Finley was not acting in self-defense when he stabbed the man. They also felt that despite some irrelevant evidence being presented during the trial, it did not change the outcome of the jury's decision regarding his guilt. However, the court agreed that Finley’s sentence of 70 years was too long without proper guidance to the jury about parole eligibility, which might have affected how they viewed the seriousness of the sentence they were giving. Therefore, while his conviction was upheld, the court mandated a new sentencing hearing to correct these issues. This case highlights the importance of clear rules in court and how the way information is presented to a jury can influence their decisions on guilt and punishment.

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F-2004-1080

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In OCCA case No. F-2004-1080, Kirk Douglas Byrd appealed his conviction for multiple offenses, including Unlawful Possession of a Controlled Drug and Driving Under the Influence of Intoxicating Liquor. In a published decision, the court decided to affirm most of the convictions but modified the sentence for the DUI charge to ten years. One judge dissented.

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C-2003-298

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In OCCA case No. C-2003-298, Edward Charles Scott appealed his conviction for Distribution of Controlled Dangerous Substance and Conspiracy to Distribute Controlled Dangerous Substance. In a published decision, the court decided to affirm the denial of the motion to withdraw guilty pleas and remand the case for resentencing. One member of the court dissented. Edward Charles Scott was charged with two counts of distributing drugs and one count of conspiring to distribute drugs in Stephens County. On November 19, 2001, he pleaded guilty to all charges and was sentenced to 40 years in prison for each count, with the sentences running at the same time, and he was also fined $2,500 for each count. Scott later filed a Motion to Withdraw the Plea, claiming that his lawyer did not help him properly. He had a hearing on this motion, but the court refused his request. Scott also filed other motions seeking to remove his guilty pleas and sought help for an appeal later on. The court allowed him an appeal out of time after concluding that his lawyer had not filed the appeal correctly. Scott raised several points in his appeal. He argued that the trial court should have given him a new lawyer when he claimed his lawyer wasn’t doing a good job. He also believed he should be allowed to take back his guilty pleas because he didn’t understand everything. He felt his prison sentence was too long and suggested the trial court did not check if he was really able to understand what he was pleading guilty to. Lastly, he argued that there was not enough proof that he was guilty of conspiracy. After reviewing everything, the court decided Scott did not show that his lawyer had a real conflict of interest. There was no evidence that Scott did not understand what he was doing when he pleaded guilty, as he admitted his guilt during the processes. The court noted that being unhappy with the length of his sentence was not a valid reason to withdraw a guilty plea. The court found some mixed statements about whether Scott was sentenced as a repeat offender or a first-time offender. These inconsistencies meant the case needed to go back to the lower court for a new sentencing. While the court thought the original inquiry into Scott’s mental competence could have been better, the records showed he was capable of understanding his charges and the guilty pleas he entered. The court also confirmed that there was a sufficient factual basis for the conspiracy plea. In the end, the court agreed with some points but decided Scott's case needed to return for resentencing due to the unclear basis for his sentence, even as they upheld the rejection of his motion to withdraw his guilty pleas.

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F-2000-1634

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In OCCA case No. F-2000-1634, Edgar Lee Rucker, Jr. appealed his conviction for Unlawful Delivery of a Controlled Dangerous Substance (Methamphetamine). In an unpublished decision, the court decided to affirm the conviction but modify the fine imposed. One judge dissented. Rucker was found guilty by a jury for selling methamphetamine and was sentenced to twelve years in prison along with a $10,000 fine. He was acquitted of another charge related to marijuana possession. Rucker argued several points in his appeal, claiming violations of his rights during the trial. The first point raised was that it was wrong for both the drug offense and habitual offender statutes to be used in his sentencing. The court acknowledged this as an error but stated that it only affected the fine; they reduced the fine to $2,500 since it was incorrectly calculated originally. Rucker also argued that the evidence was insufficient to prove he was a habitual offender. However, the court found that the State provided enough evidence regarding his past convictions. He claimed that evidence about his previous bad behavior should not have been allowed in the trial, but the court determined it was relevant for understanding the case. Rucker believed that there was a mismatch between the charges and the evidence, but the court concluded the evidence was consistent with the allegations. Another argument was that his lawyer didn’t do a good job representing him. They noted that while the lawyer should have objected more, it didn’t significantly impact the outcome of the trial. Rucker contended that the prosecutor acted unfairly during the trial, but the court found that any mistakes made were corrected and did not deny him a fair trial. Finally, Rucker argued that all the errors combined made the trial unfair, but the court decided that the only significant error was the fine and adjusted it accordingly. In summary, the court upheld Rucker’s prison sentence but modified the fine.

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F 2000-292

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In OCCA case No. F 2000-292, Joe Stratmoen appealed his conviction for Unlawful Possession of a Controlled Dangerous Drug (Methamphetamine) and Possession of a Weapon While Committing a Felony. In an unpublished decision, the court decided to affirm his conviction but modified the sentence for the weapon charge. One judge dissented regarding the modification of the sentence. Stratmoen was found guilty of having methamphetamine and a weapon during a felony. At his trial, he was sentenced to 30 years for the drug charge and 20 years for the weapon charge. He raised three main issues on appeal. First, he argued that the court did not correctly explain the state’s need to prove his past convictions. Second, he claimed the jury was misinformed about the punishment ranges for the second charge. Third, he said the jury was not correctly told about the punishments for the drug offense. The court looked carefully at all the evidence and arguments presented. They decided that the way the jury was instructed about the drug charges was correct. However, they agreed that the sentence for the weapon charge should be less severe based on their interpretations of the law, setting it to the minimum of two years instead of the original twenty. One judge disagreed with the decision to lessen the sentence for the weapon charge, feeling that the jury’s sentence should be upheld. The final conclusion was that while the main conviction was upheld, the penalty for possession of a weapon was reduced.

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