F-2018-623

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The document outlines a legal case involving Leslie Anne Gregersen who was convicted of Conspiracy Against the State in the District Court of Bryan County, Oklahoma. The Court of Criminal Appeals affirmed her conviction and sentence on October 31, 2019. The case revolved around several allegations made by Gregersen pointing to various errors during the trial, including insufficient evidence for conspiracy, improper admission of evidence from other crimes, ineffective assistance of counsel, improper jury instructions, excessive sentencing, and cumulative errors. Key findings from the case: 1. **Sufficiency of Evidence**: The court found sufficient evidence to support the jury's verdict of conspiracy, affirming that a rational trier of fact could have concluded that Gregersen was guilty beyond a reasonable doubt. 2. **Admission of Evidence**: The testimony regarding other crimes was deemed proper as res gestae evidence, necessary to provide context and understanding of the events surrounding the charged crime. 3. **Ineffective Assistance of Counsel**: The court ruled that Gregersen failed to demonstrate that her counsel's performance was deficient or that it prejudiced her defense. 4. **Jury Instructions and Responsibilities**: The trial court's handling of jury questions regarding sentencing did not mislead the jury about their responsibilities, and any potential errors did not affect the fairness of the proceedings. 5. **Excessive Sentence**: The court concluded that Gregersen's four-year sentence was not shockingly disproportionate to her crime. 6. **Plea Bargaining Deadline**: The court found no error regarding the deadline set for plea bargaining, noting that Gregersen had rejected a plea offer prior to the deadline and had not shown how she was prejudiced. 7. **Cumulative Error**: Since the court did not find merit in any of the individual claims of error, the cumulative error claim was also denied. Overall, all propositions of error were denied, and the judgment and sentence were affirmed.

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F-2018-322

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In OCCA case No. F-2018-322, Juan Carlos Renovato-Juaregui appealed his conviction for assault and battery with intent to kill and domestic assault and battery resulting in great bodily harm. In an unpublished decision, the court decided to affirm the judgment and sentence. Judge Drummond merged the two counts into one, sentencing him to fifteen years in prison with credit for time served. The court found that the claims of ineffective assistance of counsel and prosecutorial misconduct did not require reversal of the conviction. No judges dissented.

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F-2016-696

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In OCCA case No. F-2016-696, Mesfun appealed his conviction for driving under the influence of alcohol, transporting an open container of liquor, driving without a license, and driving left of center. In a published decision, the court decided to modify the sentence on one count and affirmed the rest of the judgment. One justice dissented. Mesfun was found guilty of multiple offenses in Tulsa County District Court. The charges included driving drunk, having an open container of alcohol while driving, not having a driver's license, and driving in the wrong lane. He received a long sentence, including years in prison and fines, to be served one after the other. Mesfun's appeal included three main points. First, he argued that the jury was wrongly told how much punishment they could give him for transporting an open container of liquor. The court agreed with him on this point and changed that sentence to a shorter jail time and fine. Second, Mesfun claimed that the prosecutor acted unfairly during the trial, which hurt his chances of a fair trial. However, the court found that the prosecutor's comments were allowed and did not harm Mesfun's case. Third, he said that his lawyer did not do a good job to help him. The court looked at this claim and said that his lawyer's actions did not affect the trial's outcome, so this point was also denied. Overall, the court modified one part of his sentence but upheld the rest of the decision from the trial court.

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F-2012-703

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In OCCA case No. F-2012-703, Heather Ann Jones appealed her conviction for Second Degree Murder, Robbery Committed by Two or More Persons, Conspiracy to Commit Robbery, and Child Neglect. In an unpublished decision, the court decided to reverse the conviction for Robbery but otherwise affirmed the Judgment and Sentence from the District Court. One judge dissented. Heather Ann Jones was found guilty after a jury trial in Sequoyah County. The jury sentenced her to fifteen years for Second Degree Murder, five years for Robbery, a fine for Conspiracy to Commit Robbery, and one year in jail for Child Neglect, with all sentences running at the same time. Jones raised several issues on appeal. First, she questioned whether there was enough evidence to support her convictions. The court found that the evidence was sufficient to support the jury's decisions, as it showed that Jones knew her accomplices intended to commit robbery. Even though initially the victim let them in, it was shown that they used deception to gain entry, which made their actions unlawful. Second, Jones argued that it was wrong for the trial court to allow testimony about her behavior during a TV interview after her daughter was shot. The court found that while the video of the interview was inadmissible, the investigator’s testimony about her demeanor did not count as hearsay and did not unfairly affect the trial. Jones also claimed that statements made by a witness to the police were wrongly admitted, claiming it deprived her of a fair trial. Despite the admission being deemed an error, the court ruled that since the witness testified in court about the same things, the error did not impact the outcome significantly. Jones's objection to some character evidence used against her related to her behavior following her daughter’s shooting was dismissed, as the court believed it directly supported the charge of Child Neglect. She also argued that being convicted for both Robbery and Second Degree Murder was unfairly punishing her twice for the same act. The court agreed, finding that the acts were part of the same crime, so they reversed her conviction for Robbery. In terms of ineffective assistance of counsel, Jones claimed her lawyer should have objected to several pieces of evidence, including the TV interview, police statements, and character evidence. The court ruled that her lawyer's performance did not prejudicially affect the outcome because the decisions were matters of which objections would not have made a difference. Finally, Jones asked for a review of all issues together, hoping that their combined impact on her trial would show that she did not receive a fair trial. However, the court found the errors were not enough to change the outcome. Overall, the court reversed Jones's conviction for Robbery but affirmed the rest of her convictions and sentences.

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F-2012-545

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In OCCA case No. F-2012-545, Jimmy Dale Stone appealed his conviction for lewd molestation. In an unpublished decision, the court decided to reverse and remand his convictions for a new trial. One judge dissented. Jimmy was found guilty by a jury on several counts of lewd molestation involving children. He was sentenced to a total of eight years in prison, with some of the sentences running one after the other and one running at the same time as another. He had to serve a majority of his sentence before he could be considered for parole. On appeal, Jimmy raised several important points. He argued that the judge didn’t explain all the important parts of the law about lewd molestation to the jury. He believed the evidence used against him wasn’t enough to prove he had done anything wrong. He claimed that the jury was influenced by people who talked about the case before it started. He felt he was not given a fair chance at trial because of things the prosecutor said about the victims. Also, he said he should have had money for an expert witness to help prove his side. He believed that presenting other crimes as evidence was unfair. Finally, he argued that all these mistakes together affected the fairness of his trial. The main issue that the court found was a big mistake in how the jury was instructed about the law. There are specific things that must be proven to convict someone of lewd molestation. To be found guilty, it must be shown that the defendant knowingly did something wrong and that they intended to do it. This was not explained correctly to the jury during the trial. The court found that some parts of the legal instructions given did not include important elements needed to prove the case. Although there was an argument about whether this error was harmful, the court decided it was serious enough to affect the outcome of the trial. They concluded that omitting the requirement that the defendant acted knowingly and intentionally could have changed how the jury viewed the evidence and questions raised during the trial. Since the evidence against him was not overwhelming enough to guarantee he was guilty regardless of these instructions, the decision was made to reverse the conviction. Because of this significant error, the court said that Jimmy should get a new trial where the jury would be properly instructed on the law. The other issues he raised in his appeal were not discussed because the main error already warranted a new trial.

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F-2010-558

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In OCCA case No. F-2010-558, Torrez Ceasar appealed his conviction for Possession of Controlled Dangerous Substance (PCP) with Intent to Distribute. In an unpublished decision, the court decided to reverse the conviction and modify it to Possession of Controlled Dangerous Substance (PCP) alone, with a sentence of imprisonment for twenty years. One judge dissented. The case began when Ceasar was tried by a jury and found guilty of possessing PCP with the intent to distribute it. The trial took place in the District Court of Oklahoma County, where the judge sentenced him to a long prison term of twenty-five years. Ceasar challenged his conviction on several points. First, Ceasar argued that the evidence did not prove he was guilty beyond a reasonable doubt. He claimed the state failed to show that he actually possessed the PCP or that he intended to distribute it. The court examined whether a reasonable person could have found him guilty based on the evidence presented. They found enough evidence to support that he had thrown a bottle of PCP into a car, suggesting he had possession of it. However, the question of whether he intended to distribute it was more complex. The law stated that merely having a drug is not enough to show intent to distribute. The court compared Ceasar's situation with another case where the defendants had a large amount of marijuana but were not selling it. The court noted that without proof of other selling signs, such as packaging for sale or cash, it was not clear if Ceasar intended to distribute the drugs. The evidence related to Ceasar's intoxication seemed more consistent with personal use rather than distribution, leading to the decision to change his conviction to simple possession of PCP. Ceasar also raised concerns about the admission of evidence related to his alleged gang affiliation. The court concluded that while this type of evidence can be seen as unfairly prejudicial, in this case, it did not significantly impact the trial outcome. The reference to gang signs was deemed minor and not overly emphasized during the trial, so the decision to allow it was considered fair. Lastly, Ceasar argued that the trial judge erred by not allowing his jury to consider a lesser charge of public intoxication. However, the court determined that public intoxication was not a lesser included offense of drug possession with intent to distribute. The laws concerning these charges protected different public interests, so the judge was correct in denying this instruction to the jury. In summary, after reviewing all arguments and the evidence, the court found that Ceasar's original conviction for Possession of Controlled Dangerous Substance with Intent to Distribute was not supported by sufficient evidence of intent to distribute. Therefore, his conviction was changed to simply possessing the substance, and the sentence was adjusted to twenty years in prison. The dissenting opinion raised concerns about the majority interpretation of intent and evidence but ultimately, the revised conviction stood.

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F-2009-614

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In OCCA case No. F-2009-614, John Wesley Revard appealed his conviction for Robbery With A Dangerous Weapon. In an unpublished decision, the court decided to affirm the judgment but modify Appellant's sentence to thirty (30) years of imprisonment. One judge dissented. John Wesley Revard was found guilty by a jury for using a dangerous weapon during a robbery. The jury decided he should spend 40 years in prison, but his appeal led to a change that reduced his sentence to 30 years. Revard claimed several mistakes were made during his trial. He argued that the trial court should have allowed the jury to consider a less serious charge of robbery. The court found that there was not enough evidence to support the lesser charge, so they did not agree with that argument. He also said that the prosecutor acted improperly during the trial and that it made the trial unfair. However, the court looked at everything and concluded that while there may have been some questionable remarks, they did not harm the fairness of his trial. Revard pointed out that the court allowed evidence of other crimes that he was not being tried for, claiming it unfairly affected his case. The court agreed that some of this evidence was not relevant but believed it did not change the outcome of the trial. Additionally, Revard claimed that certain references to probation during the sentencing phase were not proper and prejudiced the jury against him. The court found that these references did affect his rights and decided that this was a significant enough mistake to change his sentence. Lastly, Revard argued that his lawyer did not perform well enough to help him during the trial. The court determined that even with these claims, he did not provide enough evidence to show that he would have won if his lawyer had done a better job. In conclusion, the court confirmed his conviction but reduced his prison term from 40 to 30 years based on the issues presented during the sentencing.

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F-2006-648

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In OCCA case No. F-2006-648, Cynthia Fern Izon appealed her conviction for embezzlement. In an unpublished decision, the court decided to affirm her conviction but modify her sentence. One judge dissented. Cynthia Fern Izon was accused of embezzling money while working as an officer, and a jury found her guilty. After the jury couldn't agree on her punishment, the judge decided that she should serve 40 years in prison. However, 15 of those years were suspended, meaning she would not have to serve them right away, and she was also fined $1,000 and told to pay back $81,000. Cynthia felt that her trial had several problems, and she raised many points during her appeal. First, she said she didn't get proper representation because she chose to represent herself without understanding the risks involved. However, the court found that she clearly stated her wish to represent herself, received help from a standby lawyer, and understood what she was doing. Cynthia also claimed misconduct by the prosecutors made her trial unfair, but the court ruled that these actions didn't deny her a fair trial. She argued that her sentence was too harsh, and the court agreed that there had been an error in how long she could be punished for embezzlement. The original laws meant her punishment should not exceed 10 years, and the court modified her sentence accordingly. Another point Cynthia made was about whether paying restitution would hurt her family financially. The court noted that the trial judge should have considered this but decided that the restitution order was still valid. In addition, Cynthia claimed she faced double punishment because of the restitution and prison time, but the court found this did not violate any laws. The court also mentioned that she was warned about not testifying on her behalf and said there was no evidence that stopped her from presenting evidence. Regarding her husband, who she believed might have lied on the stand, the court ruled that she didn't raise this issue properly during the trial, so it couldn't be revisited now. Cynthia argued that she was denied a speedy trial, but the court decided that the delays were largely due to her actions. While several of her claims were dismissed, the court did agree to lower her sentence to comply with the law regarding embezzlement. In the end, the court upheld Cynthia Fern Izon's conviction but changed her sentence to 10 years in prison, along with the fine and restitution.

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F-2005-1282

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In OCCA case No. F-2005-1282, Earl Andrew Dahl, Jr., appealed his conviction for multiple sexual offenses including Rape by Instrumentation, Forcible Oral Sodomy, and Lewd Acts with a Child Under Sixteen. In an unpublished decision, the court decided to affirm the judgments of the trial court but remanded the case for resentencing. One member of the court dissented. Dahl was found guilty on fifty counts related to these serious crimes, and the jury recommended various sentences for these counts, which were to be served one after another (consecutively). Dahl argued several points in his appeal, including that the evidence was not strong enough to support his convictions and that the sentences were excessive. He also claimed that the prosecutor asked unfair questions during the trial and that the trial court made errors by not giving certain instructions related to the law. After reviewing the evidence, the court concluded that there was enough proof to uphold Dahl's convictions, as the victim's testimony was clear and trustworthy. They also noted that there were certain errors in how the trial was conducted, particularly the failure to provide an important instruction known as the 85% Rule, which affected how the jury decided on the sentencing. Because of this, the court ordered a new sentencing hearing to correct this mistake. Overall, while the convictions were upheld, the court acknowledged that the trial process had flaws, which led to their decision to allow for resentencing for Dahl.

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