F-2015-155

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In OCCA case No. F-2015-155, Sauter appealed his conviction for robbery with a firearm and burglary in the first degree. In a published decision, the court decided to reverse the conviction due to insufficient evidence. One judge dissented. Sauter was found guilty by a jury in the District Court of Nowata County and was sentenced to a total of forty-seven years in prison along with fines. The evidence presented during the trial primarily came from two accomplices, Welsh and Fulcher. Sauter argued that since these accomplices’ testimonies were not supported by independent evidence, his convictions should not stand. The court explained that under Oklahoma law, the testimony of an accomplice cannot solely support a conviction unless there is other evidence that connects the defendant to the crime. The court found that while there was evidence linking Sauter’s vehicle to the crimes, there was no evidence that directly implicated Sauter himself. Since the only evidence against Sauter came from the testimonies of Welsh and Fulcher, which lacked corroboration, the court had to reverse the convictions. The dissenting judge felt there was enough independent evidence connecting Sauter to the crimes, particularly the fact that Sauter's car was used and that he had been seen driving it shortly before the home invasion. This judge believed that the jury could conclude Sauter was complicit in the robbery and burglary based on the evidence presented.

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F-2004-935

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In OCCA case No. F-2004-935, Alfred Junior Mills appealed his conviction for burglary. In a published decision, the court decided to modify his sentence from thirty years to twenty years. One judge dissented. The case involved Alfred Junior Mills, who had been convicted of burglary and was sentenced to thirty years in prison. After his appeal, the court looked at some important issues. One issue was about how much time he would actually have to serve. The appellant's team argued that the jury should have been informed about the 85% rule, which means that a person must serve at least 85% of their sentence. This rule was important because it may have changed how the jury decided to sentence him. The court agreed that they should apply this rule to his case because it was decided while his appeal was still going on. They found that the jury might not have given him a thirty-year sentence if they had known he would have to serve at least 85% of that time. So, they reduced his sentence to twenty years instead of thirty. Another part of the appeal was about whether the jury should have considered a lesser crime instead of burglary. The defense had a theory that they believed should have led to a different verdict, but the jury didn't buy it. They thought Mills' story was not believable and gave him a sentence that was much higher than the minimum. The court decided that there was no reason to think the jury would have chosen to give him a lesser charge after they rejected his story so strongly. In conclusion, the court made a significant change to Mills' sentence due to the 85% rule but upheld the conviction for burglary. One judge disagreed with the decision to modify the sentence.

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