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 In an unpublished decision, the court decided to affirm Frye's convictions and sentences but ordered the removal of a $1,000 fine that was imposed without jury authorization.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-2009-1002

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In OCCA case No. F-2009-1002, Rickey Dewayne Prince appealed his conviction for multiple serious crimes, including possession of child pornography, lewd molestation, and first-degree rape. In an unpublished decision, the court decided to modify some of his sentences but upheld his convictions. One judge dissented. Rickey Dewayne Prince faced a jury trial where he was found guilty on multiple counts related to child exploitation and abuse. His punishment included lengthy prison sentences, with certain counts requiring him to serve them consecutively, leading to a total of many years behind bars. After the trial, Prince raised several arguments in his appeal. He claimed that he did not receive a fair trial due to various reasons. These included improper support for the victims' testimonies by a nurse, errors in how the charges were brought, issues regarding the admission of his own statements to police, and claims about his lawyer not doing a good enough job defending him. The court reviewed these points carefully. They found that while some mistakes occurred, like using the wrong statute for charging possession of child pornography, the overall outcome of the trial was justified. The judges believed that the evidence presented during the trial strongly supported Prince's convictions, even without additional corroborating details from other sources. In some points of his appeal, Prince's arguments were dismissed because he did not raise them in time during the trial, which limited how much the court could consider his issues. They also decided that any errors that did happen were not serious enough to change the trial's verdict or give him the right to a new trial. As a result, while some of Prince's sentences were adjusted to be less severe, the court affirmed many of his convictions for serious crimes against children, keeping him under a long prison sentence for his actions. The court made changes to the official records to properly reflect the legal basis for his convictions while confirming that he did not face unfair treatment during his trial.

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F-2007-575

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In OCCA case No. F-2007-575, Jeffrey Marler appealed his conviction for three counts of Sexual Abuse of a Minor and one count of Possession of Child Pornography. In an unpublished decision, the court decided to modify the sentence for the possession count, vacate the fines imposed on all counts, and otherwise affirm the convictions. One judge dissented regarding the sentencing structure for the sexual abuse counts.

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C-2005-211

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In OCCA case No. C-2005-211, the petitioner appealed his conviction for possession of child pornography and producing child pornography. In a published decision, the court decided to deny the petition for writ of certiorari and affirm the judgment while modifying the sentences. One judge dissented. Chad Justin Berntson entered guilty pleas to two serious charges related to child pornography in December 2004. In February 2005, he was sentenced to ten years in prison for each charge, with the sentences set to be served at the same time. He later asked to change his pleas, but the court said no. Berntson argued there were misunderstandings with the plea deal and claimed that one of the charges was not applied correctly, which made his plea involuntary. He also felt that the ten-year sentences were too harsh. After looking closely at his claims and the documents related to his case, the court decided that he did not have a misunderstanding about his plea. They noted that Berntson knew what to expect as they both agreed on a sentence of ten years. However, the court found that he was charged incorrectly with one of the counts, meaning he should have faced a lesser maximum sentence according to the different law that applied. Because of that, they changed the judgment and sentence for that count to five years instead. In the end, the court denied Berntson's request to change his plea, but they adjusted his sentence. They set both counts to five years in prison instead of the original ten years. The two sentences would still be served at the same time. One judge disagreed with how the court modified the sentences, believing that if Berntson entered a valid plea and got the sentence he expected, it should not be changed. This judge thought the court was wrong to alter the charges and punishments after the fact.

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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-2003-802

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In OCCA case No. F-2003-802, the appellant appealed his conviction for multiple serious crimes against minors. In an unpublished decision, the court decided to affirm most of the convictions but reversed one. One member of the court dissented regarding the sentences. The appellant was found guilty of many crimes, including possession of obscene material involving minors and various forms of sexual assault and exploitation. The jury decided on significant punishments, including life imprisonment for some counts and substantial fines. The sentences were ordered to run one after the other, meaning the appellant would serve a long time in prison without the chance to have some time overlap. The appellant raised several issues during the appeal. He argued that his trial was unfair for various reasons, such as hearsay evidence being allowed and prejudicial comments from the prosecutor. He also claimed that he was charged with crimes that were not consistent with the law at the time of the offenses, notably regarding the sexual exploitation charge. The court evaluated each point raised by the appellant. They found that while there were errors in how the trial was handled, not all of them affected the final outcome significantly. Some errors were considered harmless or did not warrant a change in the verdict. The court agreed that some charges were problematic, particularly that of sexual exploitation, which the court decided to reverse and dismiss. The court concluded that the appellant's conviction for the possession charge should reflect a different statute and that some sentences exceeded legal limits. The court modified these sentences appropriately and affirmed most of the other convictions. One judge did not agree with the decision to have all sentences run consecutively and believed they should run together instead, which would allow for a potentially shorter total time in prison. This disagreement highlights the differing opinions within the court regarding the severity and application of sentences. In summary, the case involved serious crimes with significant legal discussion around the fairness of the trial and the appropriateness of the resulting sentences.

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F-2003-673

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In OCCA case No. F-2003-673, Booker James Johnson, Jr., appealed his conviction for procuring a minor to participate in the preparation of obscene material and possession of child pornography. In a published decision, the court decided to affirm the convictions but modified the sentences. One judge dissented. Johnson was found guilty of two serious crimes by a jury in Tulsa County. The jury decided he should go to prison for twenty years for the first conviction and pay a fine of $25,000 for the second. He didn't agree with this and appealed. Johnson claimed there were several problems during his trial. First, he said it was unfair to make him defend against both charges in the same trial. He believed that separate trials would have been better. He also argued that the instructions given to the jury about how to decide his punishment were wrong because they used the wrong law for his first charge. Johnson said he should only serve ten years for that charge instead of twenty based on this mistake. For the second charge, Johnson claimed he should have been charged under a different statute that better fit the crime. As a result, the fine for this charge should have been lower, at $5,000 instead of $25,000. Johnson also argued that his right to a fair trial was damaged by a statement made by the prosecutor during closing arguments, suggesting that both charges should be considered together. He felt that this was unfair and went against his rights. Additionally, Johnson said his lawyer did not help him enough, which made his trial unfair. Finally, he complained that he did not have access to important evidence needed for his defense. The court reviewed all of Johnson's claims. They decided that it was not a big mistake for the trial judge to keep both charges together. However, they did agree that the jury was instructed incorrectly about the first charge, and thus modified the punishment to ten years. For the second charge, they recognized that Johnson should have been charged under a more specific statute, so they also corrected the fine to $5,000. In the end, the court kept Johnson's conviction for both crimes but changed his sentence to ten years in prison for the first charge and a $5,000 fine for the second charge, with some paperwork corrections needed to officially note these changes.

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F-2002-552

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In OCCA case No. F-2002-552, Jack Leroy Helms appealed his conviction for Unlawful Possession of Obscene Pictures of Minors. In an unpublished decision, the court decided to affirm Helms's conviction but to modify his sentence to two years of imprisonment. One member of the court dissented. The case began when Helms was tried by a jury and found guilty of having illegal pictures of minors. The trial took place in Jefferson County. The jury recommended a 15-year sentence, and the trial judge sentenced Helms accordingly. However, Helms argued that he should have been charged under a different law that applied specifically to possession of child pornography, which would result in a shorter sentence. The court agreed that Helms should have been charged under the more specific statute, but they affirmed his conviction. They also decided that his imprisonment sentence should be reduced to two years instead of the original 15 years. Helms raised several issues during his appeal, claiming that he was unfairly treated during the trial, that there wasn't enough evidence against him, and that his sentence was too harsh. The court found that the evidence was sufficient to uphold his conviction, as there were witnesses and online activities that indicated he had access to the illegal pictures. In the end, Helms's conviction was upheld, but changes were made to the judgment to show he was convicted under the correct law and his sentence was adjusted to be less severe. The decision allowed some correction but ultimately found in favor of the prosecution's case against Helms.

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