F-2019-912

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In OCCA case No. F-2019-912, Charles Issac Jacobs appealed his conviction for Aggravated Assault and Battery. In an unpublished decision, the court decided to affirm the Judgment and Sentence of the district court. One judge dissented. Jacobs was charged in McCurtain County after a jury found him guilty and sentenced him to two years in prison. During his appeal, he raised several points: 1. **Jurisdiction**: Jacobs argued that the State did not have authority to prosecute him because the victim was an Indian, and the crime happened in Indian Country. The trial court found that Jacobs was not an Indian according to legal standards, while the victim was. The court also determined that the crime took place within the boundaries of the Choctaw Reservation, meaning the State had the jurisdiction to proceed with the case. 2. **Self-Defense**: Jacobs claimed that he acted in self-defense when he assaulted the victim. The court noted that self-defense is a legal reason for actions that would typically be considered crimes. However, the court found there was enough evidence to show that Jacobs did not have a reasonable belief that he was in danger when he attacked the victim. 3. **Jury Instructions**: Jacobs requested that the jury be given a specific instruction about standing your ground during the trial. The court stated that whether to give specific jury instructions is up to the trial judge. They found that Jacobs did not meet the legal requirements for this instruction because there wasn’t enough evidence showing he was in a situation where he could lawfully defend himself. 4. **Monetary Fine**: At sentencing, the jury did not impose a fine, but the court record incorrectly showed a fine of $500 was imposed. The State and Jacobs both agreed that this was a mistake. The court instructed that this clerical error should be corrected. The main decision reached by the court was that Jacobs' conviction was upheld. They affirmed that the State had the right to prosecute him, and there was sufficient evidence to support his conviction. However, the court also ordered that the punishment record should be corrected to show that no fine was actually imposed.

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F-2019-950

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In OCCA case No. F-2019-950, Shilow Lynn Dumas appealed his conviction for Child Abuse by Injury. In an unpublished decision, the court decided to affirm the judgment and sentence of the district court, except for a $1,000.00 fine imposed, which was stricken from the record. One judge dissented. Dumas was found guilty of injuring a child and was sentenced to five years of imprisonment after a jury trial. He raised several errors for appeal, including issues regarding jury instructions, the imposition of a fine, the sufficiency of evidence, ineffective assistance of counsel, and cumulative errors. The court reviewed the trial process and found that the jury instructions, while not ideal, did not impact Dumas's rights enough to be considered a plain error since he did not object to them during the trial. They noted Dumas's defense did not argue that his discipline was reasonable, which weakened his claims about how he should have been instructed on the law regarding discipline. The court found the trial court had made a plain error by imposing a fine after the jury did not recommend one, and thus they vacated the fine. Next, the court examined the evidence that was presented, ruling that enough evidence was available to support the jury's finding that Dumas had willfully injured the child. When looking at claims of ineffective assistance of counsel, the court decided that since Dumas did not show how he was harmed by his lawyer’s performance, his claims were unconvincing. The cumulative errors claim was also denied, as the court found no significant harmful errors besides the fine issue. Therefore, the overall decision upheld the conviction while correcting one aspect concerning the fine.

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F-2009-998

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In OCCA case No. F-2009-998, Frye appealed his conviction for Sexual Abuse of a Child, Procurement of Child for Pornography, and Possession of Child Pornography. In an unpublished decision, the court decided to affirm Frye's convictions and sentences but ordered the removal of a $1,000 fine that was imposed without jury authorization. One judge dissented regarding the trial court's handling of voir dire questioning.

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F-2008-432

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In OCCA case No. F-2008-432, Anthony Wayne McCosar appealed his conviction for Assault and Battery with a Dangerous Weapon, Threatening an Act of Violence, Public Intoxication, and Assault with a Dangerous Weapon. In an unpublished decision, the court decided to vacate certain fines but affirmed the other parts of the judgment and sentence. One judge dissented.

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