F-2014-46

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In OCCA case No. F-2014-46, Bradley appealed his conviction for possession of a controlled dangerous substance (cocaine base) in the county jail. In an unpublished decision, the court decided to affirm the judgment of the district court but modified Bradley's sentence from thirty years to twenty years. One judge dissented. Bradley was found guilty by a jury in Garvin County. The jury decided his punishment would be thirty years in prison because he had previously committed felonies. The judge in his case sentenced him accordingly and this new sentence would be served at the same time as sentences from other cases he had. Bradley raised several issues in his appeal. First, he argued that the district court should have allowed him more time to prepare for his trial, but the court did not agree. They believed he did not meet the requirements needed for a continuance. Second, he wanted a new trial because of new evidence, but the court found that the evidence wouldn’t change the trial's outcome. He also claimed that his lawyer did not help him as much as they should have. However, the court found that he could not show how this lack of assistance changed the trial result. Additionally, he argued that the state did not share important information before the trial, but the court ruled that the information was not crucial. Bradley was concerned about comments made by the prosecutor regarding his right to remain silent. The court found no serious mistakes in this regard. Claims of prosecutorial misconduct were also rejected since the comments made were considered harmless in the context of the trial. One key issue was about Bradley's past felony convictions. The state had shown more convictions than were necessary, which the court admitted was a mistake. The court concluded that the jury might have been influenced by the extra information about Bradley's past and decided to lessen his sentence to twenty years, believing this was a fair correction. The judgment of the district court was affirmed, indicating they found no major errors in the trial process that would affect fairness, except for the over-exposure to extraneous felony convictions which led to a reduced sentence. The dissenting judge argued that the error did not greatly affect Bradley's rights and believed the original thirty-year sentence was appropriate.

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F 2004-161

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In OCCA case No. F 2004-161, James Robert Bonomelli appealed his conviction for three counts of crimes. In a published decision, the court decided to affirm the judgment of the trial court and modify the sentence. One judge dissented. Bonomelli was found guilty of having child pornography, possessing a firearm as a felon, and having marijuana. The jury decided on long sentences, which added up to a total of 100 years in prison. Bonomelli claimed he did not have enough time to prepare a proper defense for his trial because the court did not let him postpone it. He also believed that the sentences were too harsh. After looking at the facts and Bonomelli's arguments, the court agreed that the judge should have allowed Bonomelli more time for his defense but decided that he did not prove this made his lawyer ineffective. However, they thought the total 100-year sentence was too much for him. They decided that the punishment should be reduced to 40 years in total, with all counts running at the same time instead of one after another. This means Bonomelli would spend a maximum of 40 years in prison instead of 100.

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F-1999-1615

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In OCCA case No. F-99-1615, Jackie Lavern Nuckols appealed his conviction for Manufacturing or Attempting to Manufacture Methamphetamine. In an unpublished decision, the court decided to reverse his conviction and send the case back for a new trial. One member of the court dissented. Nuckols was found guilty by a jury, and he was sentenced to twenty years in prison along with a $100,000 fine. He appealed his conviction, raising several issues. First, he argued that old convictions were unfairly used against him, which should not have been allowed. The court agreed that this was not right since the old convictions could have influenced the jury too much. However, they also said that this alone didn’t change the outcome of the trial. Second, there was a problem with evidence about another crime that was brought up during the trial. The court found that this evidence was not appropriate but decided that it didn't have a big impact on the jury’s decision. Third, Nuckols thought that his fine was too high and should be changed, but the court did not agree with this point. Fourth, he claimed that he didn't have enough help from his lawyer when he needed it. The court said that even though his lawyer might not have done everything perfectly, it didn’t hurt Nuckols' chance for a fair trial. His lawyer had a chance to represent him in other important parts of the trial. Lastly, Nuckols felt that when all of these issues were looked at together, they took away his right to a fair trial. The court acknowledged that some mistakes were made, especially about the old convictions and the mention of another crime, and they concluded that these combined errors were serious enough to justify a new trial. All in all, the court decided to reverse Nuckols’ conviction and said he should have a new trial to properly address these issues.

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