In OCCA case No. F 2005-288, George Luther Carter, III appealed his conviction for Sexual Abuse of a Child. In an unpublished decision, the court decided to reverse the conviction and remand for a new trial. One judge dissented. Carter was accused of sexually abusing a child and was found guilty by a jury. They decided he should spend thirty years in prison for this crime. After the trial, Carter appealed, arguing that the trial court made several mistakes. Carter's main reasons for appealing included that the court should not have allowed evidence of other alleged crimes he had committed, and that the use of a videotape during the trial was not fair. He also believed the verdict was not supported well by the evidence. The court looked closely at these points and decided that admitting the evidence of the other alleged crime was a mistake. The evidence did not clearly connect to the case at hand and could have unfairly influenced the jury's decision. Since the court was not sure that this mistake did not change the outcome of the trial, they decided to grant Carter a new trial. In summary, Carter’s conviction was reversed because the trial court allowed improper evidence that could have affected the jury's verdict. The remaining arguments did not need to be discussed since the first point was enough for a new trial.