F-2009-959

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In OCCA case No. F-2009-959, the appellant appealed his conviction for driving under the influence and driving with a suspended license. In an unpublished decision, the court decided to affirm most of the lower court's decisions while modifying one of the fines imposed. One member dissented. Napoleon Eugene Manous was tried by jury in the District Court of Okmulgee County, where he was found guilty of two counts: one for driving a motor vehicle while under the influence of alcohol and another for driving with his license suspended. The jury sentenced him to seven years in prison with treatment and a fine for the first count, and to six months in jail with a fine for the second count. Mr. Manous raised several points in his appeal. He claimed his rights were violated in a few ways. For instance, he argued that statements he made while in custody should not have been used against him because he did not receive a warning that he had the right to remain silent (known as a Miranda warning). The court found that the statements were not obtained from police questioning, so they could be used in his trial. He also argued that hearsay evidence was wrongly allowed in his trial. However, the court found that this evidence was not used to prove something true but was only to explain why the police officer acted as he did. Therefore, it did not violate his right to a fair trial. Manous believed he did not get a fair punishment because of incorrect jury instructions about fines for his second count. The court agreed that the jury got bad information about how much they could fine him and decided to change the fine amount to $300 instead of $500. He argued that the trial court misapplied his sentence and didn’t accurately reflect the jury’s decision. The court acknowledged this mistake and agreed to correct the written judgment to match the jury’s decisions. Moreover, Manous claimed that mentioning his past legal troubles during sentencing was unfair. The court, however, found that his lawyer did not object to this at the trial, which weakened his argument on appeal. He also stated his lawyer did not properly fight against the errors during the trial that affected his sentencing. Again, the court found that many issues had already been addressed and it was not enough to have his conviction overturned. Lastly, he combined all his complaints, arguing that they collectively warranted a new trial, but the court ruled that there was no significant accumulation of errors. In summary, the court affirmed much of the initial decisions made by the lower court but did make changes to the fine in one count. One judge disagreed with part of the decision but largely supported the overall outcome.

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F-2006-68

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In OCCA case No. F-2006-68, Gregory Scott Thompson appealed his conviction for First Degree Felony Murder. In an unpublished decision, the court decided to affirm the conviction but modified the sentence from life without the possibility of parole to life imprisonment. One judge dissented. ### Summary of the Case Gregory Scott Thompson was found guilty of First Degree Felony Murder after being involved in an attempted robbery that led to the death of Jerry McQuin. The events occurred on November 18, 2003, when Randy Davis and Clifford Hamilton went to Laquita Stevenson’s house. Tensions rose between Davis and McQuin, who was living with Stevenson at the time. Thompson, along with Gatewood, arrived after Davis called him over. When McQuin returned home, Thompson and Gatewood armed with guns demanded McQuin's car keys. McQuin was forced outside where he was shot after a brief confrontation about the keys. Stevenson, still inside, heard the commotion and eventually the gunshots that killed McQuin. Although no one directly saw Thompson shoot McQuin, evidence showed he was actively involved in the robbery attempt that resulted in McQuin's death. ### Court Opinions The court addressed several key legal arguments presented by Thompson: 1. **Exclusion of Evidence**: Thompson argued that the trial court should have allowed evidence that McQuin had drugs and money, which could suggest a drug deal gone wrong. The court ruled that this evidence didn’t sufficiently connect another person to the crime and would risk confusing the jury. 2. **Cross-Examination Limitations**: Thompson claimed his rights were violated when the court limited his lawyer's ability to cross-examine witnesses. The court found that the trial judge exercised discretion within reasonable limits. 3. **Custodial Statements**: Thompson contended that his rights were violated when his statements made after invoking his right to counsel were allowed into evidence. The court found that he did not clearly assert his right to counsel at the time and therefore the statements were admissible. 4. **Sufficiency of Evidence**: Thompson maintained that there was not enough evidence to convict him since no one saw him shoot McQuin. The court found that the evidence was sufficient to show he was an active participant in the attempted robbery, thus affirming the conviction. 5. **Sentencing Issues**: Thompson challenged various sentencing procedures, including that the trial was improperly bifurcated and that he was not correctly informed about his eligibility for parole. The court acknowledged these errors and modified the sentence accordingly. 6. **Ineffective Assistance of Counsel**: Thompson argued that his attorney failed to effectively represent him in several respects. The court ruled that these claims did not demonstrate a significant chance that the outcome would have been different. Both the prosecution's case and Thompson's defense contributed to the complex nature of the trial. Ultimately, while his conviction was upheld, the errors in sentencing led to a modification of his sentence to life with the possibility of parole.

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