F-2018-1083

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The document is a summary opinion from the Court of Criminal Appeals of Oklahoma regarding the case of Bryan Lee Guy, who was appealing his conviction for robbery with a dangerous weapon. Below is a concise breakdown of the case and its outcome: ### Case Overview: - **Appellant**: Bryan Lee Guy - **Appellee**: The State of Oklahoma - **Court**: Court of Criminal Appeals of Oklahoma - **Original Jurisdiction**: District Court of Tulsa County - **Case Number**: F-2018-1083 - **Trial Judge**: Honorable Dawn Moody - **Sentence**: Thirty-seven years imprisonment (with a requirement to serve 85% before parole eligibility) ### Issues on Appeal: 1. **Instruction on Inconsistent Statements**: Guy argued that the jury was not properly instructed regarding the use of a victim's prior inconsistent statements. The court concluded this omission was not plain error and did not affect the trial's outcome. 2. **Conflicting Instructions**: Guy contended that jury instructions about the return of the verdict and lesser offenses were conflicting. The court found no plain error in these instructions, stating they did not misdirect the jury. 3. **Post-Imprisonment Supervision Instruction**: Guy challenged the inclusion of an instruction on mandatory post-imprisonment supervision, which the court acknowledged was given in error but did not constitute plain error affecting his rights. 4. **Ineffective Assistance of Counsel**: Guy claimed his attorney was ineffective on several grounds, including not reasserting a pretrial motion to dismiss and failing to take judicial notice of prior convictions. The court found no merit in these claims, concluding Guy could not show that these alleged deficiencies affected the trial outcome. ### Court's Decision: - The court affirmed the judgment and sentence of the district court. - Guy's request for an evidentiary hearing to further support his claim of ineffective assistance was denied. ### Conclusion: The appeal did not result in a reversal of the conviction or sentence, as the court found that the issues raised were either without merit or did not rise to the level of plain error that would impact the fairness of the trial.

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F-2017-1307

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In OCCA case No. F-2017-1307, James Rex Clark appealed his conviction for four counts of Child Abuse by Injury and one count of First Degree Child Abuse Murder. In an unpublished decision, the court decided to affirm the judgment and sentence. One judge dissented. James Rex Clark and his wife were charged after the tragic disappearance of a boy named Colton, who was living with them. They had adopted Colton and his older brother T.J.S. after the boys were removed from their biological parents due to drug and alcohol issues. In 2006, Colton was reported missing, and a massive search took place; however, no trace of him was ever found. T.J.S. later revealed that he had been abused by the Appellants and expressed fears about his brother's fate. After years had passed, T.J.S. reached out to authorities to provide information about the abusive environment he and Colton had experienced while living with their uncle and aunt. As a result of T.J.S.’s testimony and an investigation that followed, both James and his wife were charged with the serious crimes. During the trial, T.J.S. described the harsh treatment he and Colton endured, which included physical abuse and isolation from others. He explained that after Colton had an argument with James, he was taken to a bedroom, and T.J.S. later found him unresponsive on the couch. James tried to argue that he did not receive a fair trial. He claimed that parts of the trial were not properly recorded and that he was not given a fair chance to defend himself. He contended that evidence against him was presented in a way that was not appropriate and that the prosecutor acted unfairly during the trial. However, the court explained that there was no evidence that the issues James raised affected the outcome of the trial. They found that the testimony about Colton’s character and life was important and properly admitted to show that he would not have run away. They also considered that the defense did not provide sufficient reasons for their claims of error. Ultimately, the court upheld the conviction, affirming that the evidence showed James was guilty of the serious charges. T.J.S.'s accounts of the abuse were significant in proving what James and his wife had done. The judges concluded that despite the many claims made by James, they did not find the errors alleged by him to be valid or sufficient to overturn the jury's decision. The court’s ruling confirmed that James would face life imprisonment as recommended by the jury based on the severity of the crimes committed against Colton. This case highlighted serious issues regarding child welfare and the responsibilities of adults toward children in their care.

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D-2014-153

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In OCCA case No. N 2014-153, Harris appealed his conviction for First Degree Murder. In a published decision, the court affirmed the death sentence, finding sufficient evidence of his crime and rejecting claims of an incomplete trial record. One judge dissented. [occa_caption]

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F-2017-949

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In OCCA case No. F-2017-949, Montoyia Corbitt appealed her conviction for Manslaughter in the First Degree-Heat of Passion. In an unpublished decision, the court decided to affirm her judgment and sentence. One judge dissented. Montoyia Corbitt was tried for a crime that involved the death of another person. During her trial, she claimed she acted in self-defense. However, the jury found her guilty, and she was given a six-year prison sentence. The law said she had to serve at least 85% of her sentence before she could be considered for parole. Corbitt made three main arguments in her appeal. First, she believed the evidence was not enough to prove she did not act in self-defense. The court explained that self-defense is a reason someone can use force, but it has to be reasonable. They found there was enough evidence that showed Corbitt's fear was not reasonable and, therefore, not justified in using deadly force. Second, Corbitt argued that a police officer’s opinion in her trial influenced the jury and was not fair. The court reviewed this matter and decided that the officer's testimony was allowed because it was based on what he observed during the investigation. They concluded that his statements helped clarify what happened during the incident without directing the jury toward a specific conclusion. Third, Corbitt was concerned about a photograph that showed her face during a police interview. She thought it was not relevant and unfairly prejudiced her case. The court ruled the photo was relevant because it helped support her claim of self-defense. They believed the image added to the understanding of the situation rather than just being harmful to her. Ultimately, after looking at all the arguments and evidence, the court agreed with the jury’s decision and affirmed her conviction.

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F-2017-994

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In OCCA case No. F-2017-994, Holly Tegan Zuniga-Griffin appealed her conviction for Enabling Child Abuse. In an unpublished decision, the court decided to affirm her conviction. One judge dissented. The case involved Holly Tegan Zuniga-Griffin, who was found guilty of enabling the abuse of her three-year-old son. The jury in Muskogee County decided she was guilty of this crime based on the evidence presented during the trial. She was sentenced to ten years in prison, following the jury's recommendation. Zuniga-Griffin raised several issues in her appeal. First, she argued that the law regarding child abuse was unclear and vague. However, the court found no reason to change its previous decisions on this issue and denied her claim. Next, she claimed there wasn't enough evidence to prove she understood her child was in danger when she left him with her 17-year-old boyfriend. The court disagreed, stating there was enough evidence to show she should have known her child was at risk. Zuniga-Griffin had made inconsistent statements about how her son got hurt, and medical evidence indicated he had been physically abused. She also said she was denied a fair trial because the judge didn't instruct the jury properly. The court acknowledged that some jury instructions could have been appropriate, but overall, they did not think this affected the trial's fairness. Another point she raised was about a nurse giving an opinion in court when she didn't have the right qualifications. The court found that the nurse did have enough training and experience to testify about the injuries on the child, so they disagreed with Zuniga-Griffin's claim. Zuniga-Griffin contended that the prosecution failed to provide important evidence that could have helped her case. However, the court concluded that she was aware of the photos in question during the trial and did not attempt to use them, dismissing her argument. She also claimed her lawyer did not do a good job representing her, which negatively impacted her trial. But the court found her lawyer's decisions were reasonable and did not affect the outcome. Zuniga-Griffin then argued that her ten-year sentence was excessively harsh. The court noted that her son had suffered serious injuries, and her sentence was within what the law allowed, so they did not find it shocking. Finally, she stated that all the errors combined during the trial made it unfair. The court determined that the errors she identified did not, either separately or together, undermine her right to a fair trial. In the end, the decision of the trial court was upheld, meaning Zuniga-Griffin would serve her sentence as originally decided.

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S-2016-95

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In OCCA case No. S-2016-95, the State of Oklahoma appealed the conviction for acquiring proceeds from illegal drug activity. In an unpublished decision, the court decided to affirm the ruling of the district court that granted a Motion to Suppress evidence. One judge dissented. The case began in Sequoyah County when the driver of a vehicle was stopped for speeding. During the traffic stop, the trooper checked the driver's license and vehicle documents, and after issuing a warning, asked if he could use a drug-sniffing dog on the vehicle. The driver said no and wanted to leave. Despite this, the trooper asked him to get back into the patrol car and moved ahead with deploying the dog. The drug dog found a large amount of cash hidden in the spare tire of the truck. The State appealed the decision saying that the trooper had enough reason to keep the driver there for the drug dog search. The trooper noted that the driver was very nervous, the truck was unusually clean with a strong air freshener scent, and the driver had two cell phones. When a police officer stops someone, they can only keep them there for as long as needed to handle the reason for the stop, which in this case was the speeding. The officer can extend the stop if they have reasonable suspicion that something illegal is happening, but they need solid reasons to do this. In reviewing the trooper's actions, the court looked at the overall situation, including the video from the stop, and decided that the trooper did not have enough reasonable suspicion to keep the driver longer. The factors the trooper mentioned did not add up to a valid reason for the ongoing detention. As a result, the court upheld the lower court's decision to suppress the evidence obtained from the drug dog search, meaning the cash found could not be used against the driver in court. The State’s appeal was denied.

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F-2013-958

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In OCCA case No. F-2013-958, the appellant appealed his conviction for First Degree Child-Abuse Murder. In an unpublished decision, the court decided to affirm the conviction but remand the case for re-sentencing. One judge dissented. The case involved Gregory Antwon O'Neal, who was convicted for the murder of his two-month-old daughter, Tianna Marie O'Neal. The events began on May 17, 2007, when O'Neal and the child's mother brought Tianna to a hospital because she was unresponsive. At the hospital, doctors found Tianna had multiple injuries, the most serious being a skull fracture that resulted in brain swelling and ultimately her death the following day. Throughout the trial, the prosecution argued that O'Neal had either directly caused the injuries or allowed someone else to do so. O'Neal claimed that Tianna had fallen off a folding chair earlier that day and did not admit to any violent behavior. However, the medical evidence suggested that the injuries were consistent with abuse rather than accidental harm. The prosecution presented multiple medical experts who testified that the injuries Tianna suffered were serious and not likely to have occurred from normal accidents. O'Neal made several statements that appeared to change over time regarding how Tianna was injured. His comments while in custody were interpreted as signs of guilt. For example, when speaking to friends and family from jail, he seemed more worried about the potential consequences for himself rather than the well-being of his daughter. The prosecution used these statements to argue that O'Neal demonstrated a consciousness of guilt. The trial featured a defense expert who suggested that similar injuries could potentially happen through accidental means, which contradicted the prosecution's claims. Despite this, the jury found O'Neal guilty, leading to a sentence of life imprisonment without parole. On appeal, O'Neal argued several points, including the sufficiency of the evidence against him, claims of errors during the trial, and ineffective assistance of his counsel. The court's opinion examined these arguments, ultimately deciding that there was enough evidence to support the conviction. However, the court recognized an issue regarding the prosecutor's conduct during closing arguments, finding that the use of a doll as a prop during closing to dramatize the potential abuse was inappropriate and could have improperly influenced the jury. As a result, the court upheld O'Neal's conviction but ordered a new hearing for re-sentencing, emphasizing the need for proper conduct in courtroom arguments. One judge dissented, arguing that the prosecutor's actions did not merit a new sentencing as they did not sufficiently affect the trial's outcome. In conclusion, the court reiterated the importance of safeguards in the legal process, highlighting the need for a fair trial where jury members follow the evidence and court instructions rather than emotional appeals during closing arguments.

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F-2005-228

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In OCCA case No. F-2005-228, Gordon Fife Franklin appealed his conviction for Kidnapping, Assault and Battery with a Dangerous Weapon, and Cruelty to Animals. In an unpublished decision, the court decided to reverse the conviction for Cruelty to Animals and to modify the sentences for the remaining convictions to 55 years each instead of 250 years. One judge dissented. Franklin was found guilty by a jury and received a very long sentence for his crimes. The jury thought that his actions were very bad and wanted him to spend a lot of time in prison. However, the court later said the sentences were too long. They decided that the evidence for one of the charges, Cruelty to Animals, was not strong enough to keep that conviction. During the trial, the court let different pieces of evidence be shown to the jury. Some of this evidence was questioned later, but the court said that it didn't really change the outcome of the trial. They said that even though there were mistakes made in the trial, the serious charges of Kidnapping and Assault were still valid. Overall, the court agreed that while Franklin did do some wrong things, the punishments should be reduced to a more reasonable amount of time. In conclusion, Franklin's punishment was lightened, and the charge for hurting the animal was removed completely.

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F-2003-717

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In OCCA case No. F-2003-717, Paul Delmer Morgan appealed his conviction for Distribution of a Controlled Dangerous Substance (Cocaine). In an unpublished decision, the court decided to affirm Morgan's conviction but modified his sentence. One judge dissented. Morgan was found guilty and sentenced to life in prison and a $100,000 fine. He challenged his conviction by claiming there were six main problems with the trial. First, he argued that there was evidence shown to the jury about other crimes he committed, which he felt was unfair. Second, he said the judge should have told the jury how to use statements from a witness who had changed his story. Third, he thought the judge did not properly warn the jury about trusting the informant’s testimony. Fourth, he believed the fine he received was too high because of how the judge gave instructions to the jury. Fifth, Morgan thought that his sentence was too harsh. Lastly, he claimed that taken together, these errors made it impossible for him to have a fair trial. After reviewing everything, the court found that the evidence about the other crimes was closely connected to his current case, so it could be allowed. They also noted that Morgan did not object to it during the trial, which meant he could not easily argue against it now. Regarding the witness’s inconsistent statements, the court agreed that the judge should have explained this to the jury, but they ruled that it did not hurt Morgan's case. The informant's testimony was supported by other evidence, so the lack of instruction on that wasn't a problem. They also decided that the fine imposed on Morgan was too high. Instead of $100,000, they lowered it to the maximum allowed by law, which was $10,000. Finally, the court felt that a life sentence for selling a small amount of cocaine was too extreme, even with Morgan’s prior criminal record. They changed his sentence to 20 years in prison instead. In conclusion, while the court confirmed Morgan's conviction, they modified his sentence to 20 years and a $10,000 fine. However, one judge disagreed with modifying the sentence, believing that the jury had made the right decision based on the evidence they had.

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