F-2021-211

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In OCCA case No. F-2021-211, Michael Ray Dawkins appealed his conviction for assault and battery with a deadly weapon, felon in possession of a firearm, and maiming. In an unpublished decision, the court decided to affirm the conviction for assault and battery with a deadly weapon and felon in possession of a firearm but reversed the conviction for maiming and instructed to dismiss it. A dissenting opinion was not noted. The case involved a jury trial where Dawkins was found guilty on all counts after shooting a woman named Krystal Traylor. He received a sentence of 45 years for the assault and battery, 25 years for the firearm possession, and another 45 years for the maiming, with some sentences running concurrently and others consecutively. Dawkins raised several claims on appeal, including that his constitutional right to an attorney of his choice was violated, that he faced double punishment for the same act, and that there were errors in admitting certain evidence during his trial. Upon review, the court concluded that the trial court did not abuse its discretion when it denied Dawkins's request for a new attorney, as he did not provide valid reasons for wanting to change lawyers. It was also determined that Dawkins’s convictions for assault and battery and maiming stemmed from a single act, which should not result in multiple punishments. Therefore, the court reversed the maiming conviction. Further, the court found that the identification of Dawkins by the victim was correctly admitted as evidence, dismissing the hearsay claim. Dawkins's assertions about prior bad acts being admitted were also rejected, as they were deemed relevant and essential for establishing motive and intent. The court noted that a limiting instruction had been provided to jurors, mitigating concerns over the impact of these past acts. Finally, regarding Dawkins's claim for a speedy trial violation, the court found that the delays were mainly attributable to him or his defense strategies, concluding that he was not prejudiced by the delay. Overall, most of Dawkins's claims were denied, leading to the affirmation of his main convictions and the reversal of the maiming charge.

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F-2017-724

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In OCCA case No. F-2017-724, the appellant appealed his conviction for multiple crimes, including assault and battery with a dangerous weapon, burglary, domestic abuse, and violation of a protective order. In a published decision, the court decided to affirm the convictions for most counts but dismissed one count due to double punishment concerns. One judge dissented.

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F-2008-579

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In OCCA case No. F-2008-579, Thomas Clinton Ledgerwood appealed his conviction for Maiming, Domestic Abuse Involving Great Bodily Injury, and Kidnapping. In an unpublished decision, the court decided to reverse Ledgerwood's conviction for Kidnapping and affirm the other convictions. One judge dissented.

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F-2000-671

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In OCCA case No. F-2000-671, Robert F. Barnes appealed his conviction for Maiming and Assault and Battery with a Dangerous Weapon. In an unpublished decision, the court decided to affirm the conviction for Maiming but reversed the conviction for Assault and Battery with a Dangerous Weapon, instructing the lower court to dismiss that charge. One justice dissented. The case began when Barnes was accused of injuring someone during a single event. The jury found him guilty of Maiming but decided on a lesser charge for the second count. Barnes received a punishment, which included jail time and fines, along with an order for restitution to the victim. When Barnes appealed, he raised several arguments. He claimed that he should not have been punished for both charges since they came from the same event. The court agreed, stating that it was against the law to punish someone multiple times for one crime, so they reversed the second charge. Barnes also argued that the jury should have been given instructions on lesser charges during the trial, but the court found that the evidence did not support this. Thus, the judge's decision was not seen as a mistake. Additionally, Barnes said that there was misconduct during the trial, but the court did not find this to be serious enough to change the original decision. Lastly, the court noted that there was not enough information in the records about the restitution order, so they couldn't decide if it should be adjusted. In summary, the court confirmed the guilt of Barnes for Maiming (Count I) but decided that he should not be punished for the second charge (Count II), which was reversed.

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