F-2018-358

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In OCCA case No. F-2018-358, Sean Daniel Simmons appealed his conviction for domestic abuse by strangulation. In an unpublished decision, the court decided to affirm his conviction. One judge dissented. Sean Daniel Simmons was found guilty by a jury for hurting his girlfriend on three occasions during a long argument at their apartment. The girlfriend's twelve-year-old son was in a nearby room sleeping at the time. The girlfriend testified that he choked her until she lost consciousness three times. Once, when he called 911, he slapped her when she tried to take the phone. After the incidents, she sought medical help and was diagnosed with a throat injury, although there were no visible marks on her throat, and she didn’t suffer any serious long-term effects. Simmons argued in his first claim that the evidence against him was not enough to support the conviction. The court reviewed the evidence and decided that it was reasonable for the jury to find him guilty beyond a reasonable doubt for domestic abuse by strangulation. In his second claim, Simmons believed the trial court should have explained what “great bodily harm” meant to the jury. He wanted a clear definition because he felt the term was too vague. However, the trial court used standard jury instructions that explained the elements of the crime, including how strangulation was defined. Ultimately, the court held that the trial court did not make a mistake when it refused to define “great bodily harm” more specifically. The decision to not elaborate on this term was appropriate, as the standard instructions already provided enough information to the jury for them to make an informed decision. The judgment was affirmed, and the judges agreed that the trial court acted correctly in these matters.

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F-2014-1078

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In OCCA case No. F-2014-1078, Robert Bradley Champlain appealed his conviction for three counts of Lewd Molestation. In an unpublished decision, the court decided to affirm his judgment and sentence but vacated the imposition of post-imprisonment supervision. One judge dissented. The case involved allegations against Champlain for inappropriate conduct with a minor, and a jury found him guilty. Each count resulted in a recommendation for life imprisonment, to be served consecutively. Champlain raised several arguments on appeal, claiming errors in the trial process, including the imposition of consecutive sentences as a punishment for opting for a jury trial and issues regarding evidence of his past convictions. The court did not find merit in these claims. It clarified that the determination of consecutive versus concurrent sentences is within the trial court's discretion. The court also concluded that prior felony convictions had been proven properly, with no significant errors affecting Champlain's rights during the trial. They explained that the State's evidence was sufficient for the jury to uphold the conviction. Champlain also argued that the conduct of the prosecution and the trial court's instructions were unfair. However, the court stated that the issues raised did not prove any misconduct that made the trial fundamentally unfair. His claims regarding ineffective assistance from his counsel were also dismissed, as the court did not see a failure that affected the outcome of the trial. While Champlain did receive life sentences, the court vacated the post-imprisonment supervision, stating it was not applicable in cases of life sentences. In conclusion, the court affirmed the conviction and sentence while correcting certain references related to the timing of the offenses.

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F-2009-404

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In OCCA Case No. F-2009-404, Kassie Lakei Bills appealed her conviction for First Degree Murder. In an unpublished decision, the court decided to reverse her conviction and remanded the case for a new trial. One judge dissented. Kassie Lakei Bills was found guilty of murder after a jury trial in Oklahoma County. The jury sentenced her to Life Imprisonment Without the Possibility of Parole. Bills raised several complaints about how the trial was conducted. She argued that the trial court, which is responsible for making sure the trial runs smoothly, acted improperly during jury selection (called voir dire) by making comments that could have influenced the jurors. She said the court restricted her ability to question potential jurors about an important issue in her case: insanity. Further, Bills claimed that the trial court did not allow the jury to consider lesser offenses that might have been more appropriate, and that it should not have allowed certain evidence that was not relevant to the case. She felt her lawyer did not do a good job representing her, and there were too many mistakes made during the trial that affected her right to a fair trial. One key issue was the trial judge’s comments during jury selection. The judge told jurors that they should come to a decision quickly and warned them against being hard-headed. Bills argued that these comments pressured jurors to reach a verdict even if they had honest disagreements about the evidence. The court pointed out that such comments could be seen as coercive, leading to a situation where jurors would not feel free to express their true opinions. The court agreed with Bills that the trial judge’s comments were improper and could have influenced the jury's actions unfairly, which led to the decision to reverse her conviction and order a new trial. Since the case was sent back for a new trial, the court did not need to discuss the other complaints Bills raised about her trial or her request for a hearing regarding her lawyer's performance. In conclusion, Bills' conviction was overturned, and she was granted a new beginning in court, where she may have a chance to present her case fairly.

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F-2008-763

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In OCCA case No. F-2008-763, Armand Rashawn Johnson appealed his conviction for multiple charges, including robbery with a firearm, assault with a deadly weapon, burglary, and kidnapping. In a published decision, the court decided to reverse his convictions and remand the case for a new trial. One member dissented. Johnson was found guilty by a jury and was sentenced to a total of 30 years in prison for some counts, while others had sentences ranging from 20 to 40 years. The main reasons for his appeal focused on concerns about how the jury was instructed and treated during the trial. Johnson argued that the trial court's actions could have influenced the jurors' decisions, which should be based on facts and law alone. The court agreed with Johnson on several points. It found that the trial judge's comments and guidance during jury selection were inappropriate and could have pressured the jurors into making decisions against their personal beliefs. This meant that the fairness of his trial was in question. Since the court decided to reverse Johnson's convictions, there was no need to examine the other claims he made about the evidence and the fairness of his sentence. The court emphasized that jurors should only be focused on the law and evidence presented to them and not on any frustrations that might come from court procedures. As a result, Johnson will get a new trial, where the procedures may be handled in a way that better protects his rights.

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F 2007-201

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In OCCA case No. F 2007-201, Kristopher Lee Morphew appealed his conviction for Second-degree Murder. In a published decision, the court decided to reverse Morphew's Judgment and Sentence and remand the case for a new trial. One judge dissented. Morphew was found guilty of Second-degree Murder after a jury trial. The jury decided on a punishment of twenty years of prison time. However, Morphew argued that he did not receive a fair trial due to several reasons, including ineffective help from his lawyer, errors in jury instructions, and misconduct by the prosecution. The main issue that led to the court's decision was about how the jury was instructed regarding what depraved mind meant in the context of Second-degree Murder. The jury was confused about a key part of the instruction, and the trial judge did not clarify it properly. Because of this, the court found that the instructions did not adequately explain the law and could have led to a misunderstanding during the trial. Since this error was significant enough to possibly change the outcome of the case, the court concluded that Morphew deserved a new trial. The other points raised by Morphew were not discussed because the error regarding jury instructions was sufficient to reverse the conviction. In summary, the court's decision sends Morphew back for a new trial to ensure he receives a fair chance to defend himself under the correct laws and instructions.

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F-2004-332

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In OCCA case No. F-2004-332, Sheila Ann Sutton appealed her conviction for grand larceny and knowingly concealing stolen property. In an unpublished decision, the court decided to modify her conviction to petit larceny and reversed and dismissed the charge of concealing stolen property. One judge dissented. Sutton was accused of stealing electronic items, including DVD players, with friends. The jury found her guilty and she was sentenced to five years in prison for grand larceny and four years for concealing stolen property, with the sentences running at the same time. During her appeal, Sutton argued several points. She claimed that simply being in a car with stolen shoes did not mean she was hiding them. The court agreed that the evidence did not show she attempted to conceal the shoes and reversed the charge for that reason. Sutton also argued that she only took property worth less than $500, which should be classified as petit larceny, not grand larceny. The evidence showed that she took one DVD player worth $487, and the other players taken by her companions did not change that. The court agreed and changed her conviction to petit larceny. Additionally, Sutton claimed that the jury was not properly instructed about the law surrounding the charges against her. The court found that the instructions were lacking and noted that without proper guidance, the jury might have struggled to understand how to reach their decision on grand larceny. Sutton also pointed out that there was an instruction about flight, but the circumstances didn't support it, meaning it should not have been mentioned during the trial. The court acknowledged this, saying that giving such an instruction without proper context was wrong. After reviewing all of Sutton's claims, the court modified her conviction to petit larceny and changed her sentence to two years in prison. They dismissed the second charge. The dissenting opinion argued that there was enough evidence to support the original conviction and that the jury understood what happened during the events in question. In summary, the court modified Sutton's conviction and sentence due to errors in the trial process, particularly related to jury instructions, while the dissenting judge believed the jury's original decision was justified.

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F-2003-257

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In OCCA case No. F-2003-257, Gregory Kyle Malone appealed his conviction for First Degree Burglary and Robbery With a Dangerous Weapon. In a published decision, the court decided to reverse the conviction for First Degree Burglary but affirmed the conviction for Robbery With a Dangerous Weapon. One judge dissented. Malone was found guilty by a jury and sentenced to twenty years in prison for burglary and forty years in prison for robbery. During the trial, he argued that there were mistakes made, including incorrect jury instructions and insufficient evidence for the burglary charge. Malone claimed the court made an error by allowing the jury to convict him based on instructions that included an offense he wasn’t charged with. The burglary charge required proof that he intended to commit robbery or assault when he broke into the house, but the jury was given broader instructions that didn't align with the specifics of his charge. This was seen as a violation of his rights, as he should have been able to defend against the exact crime he was accused of. The court agreed with Malone on this point, determining that the trial court had provided wrong instructions that could have influenced the jury's decision. As a result, they reversed the conviction for First Degree Burglary. However, they affirmed the conviction for Robbery With a Dangerous Weapon, finding that the evidence against him was strong enough for that charge. In conclusion, the court reversed the first charge of First Degree Burglary and kept the second charge of Robbery With a Dangerous Weapon, which meant Malone would go back to court for the burglary charge.

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