F-2017-1099

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In OCCA case No. F-2017-1099, Willie Donnell Jackson appealed his conviction for Rape in the First Degree-Victim Unconscious. In an unpublished decision, the court decided to affirm Jackson's conviction and sentence. One judge dissented. Willie Donnell Jackson was found guilty by a jury for a serious crime involving a victim who was unconscious. The jury suggested that he spend life in prison without the chance to get out, but the trial judge decided to give him a chance for parole after a long time instead. Jackson didn't agree with this decision and said there were errors made during the trial that affected his rights. Jackson raised five main arguments on appeal. First, he said that the prosecutor acted improperly during the trial, which made it unfair. He claimed this had a cumulative effect and harmed his chance for a fair trial. Second, he thought the judge didn't give the jury the right instructions, which was another error. The third point was about his lawyers not helping him enough, meaning that he didn't get the proper support he needed during the trial. Fourth, Jackson believed that the prosecutor's actions led to a sentence that was too harsh compared to what happened. Finally, his last argument was that all the mistakes added up to deny him a fair trial and the legal protections he should have received. After looking at everything presented during the appeal, the judges decided there were no significant errors that would change the outcome of the trial. They did not agree with Jackson's claims, concluding that his trial was fair. As a result, they upheld the original decision and affirmed his sentence, meaning Jackson must serve a long time in prison. The judges, in concise language, rejected all of Jackson's claims, confirming that he did not prove that any errors affected the fairness of his trial or the severity of his sentence, leading to the final ruling.

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F-2017-1029

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In OCCA case No. F-2017-1029, Timothy Brian Bussell appealed his conviction for Rape in the First Degree - Victim Unconscious. In an unpublished decision, the court decided to affirm the judgment and sentence against him. One judge dissented. Bussell was found guilty by a jury and was sentenced to life imprisonment with the possibility of parole, even though the jury recommended life without parole. The case involved Bussell and a co-defendant, who filmed another co-defendant having sex with an unconscious victim. The jury believed there was enough evidence to show Bussell helped and encouraged the assault. Bussell raised ten arguments in his appeal, claiming errors during his trial. He argued that he did not get proper notice of the charges against him, that there was not enough evidence to convict him, and that the trial should have separated him from his co-defendant. He also claimed the victim's testimony was not credible, the prosecution made unfair statements, and that his lawyer did not do a good job. The court reviewed the evidence and found it sufficient for a conviction. They determined there were no significant errors that would affect his rights. The court emphasized that someone's testimony alone could support a conviction, especially if it was backed by video evidence. They concluded that Bussell knew the accusations he was facing and did not show that he was prejudiced by any mistakes made during the trial. Ultimately, the court decided that Bussell's claims did not show any grounds for reversing his conviction. His serious involvement in the crime was evident. The sentence was upheld as appropriate based on the crime he committed, emphasizing the importance of the victim's mistreatment.

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C-2005-207

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In OCCA case No. C-2005-207, William Allen Pelican, Jr. appealed his conviction for multiple counts of rape. In a published decision, the court decided to grant his petition for certiorari and remand the case for a new hearing. One judge dissented. Pelican was sentenced after entering a plea deal where he accepted nolo contendere pleas to three counts of serious crimes. These included rape by instrumentation and first-degree rape. He was given a total sentence of 22.5 years, with part of it suspended, and was also fined. Later, Pelican sought to withdraw his pleas, but the trial judge forced his lawyer to talk about the case despite the attorney having a conflict of interest. The lawyer felt he could not fully support Pelican because he also represented someone else. Because the trial judge didn’t let the lawyer withdraw before discussing the case, Pelican was not effectively helped by his attorney. This was seen as unfair to Pelican since he deserved a lawyer who could fully support his case without conflicts. The court recognized this problem, stating that everyone has the right to have a lawyer who can represent them fully and without conflicts. Because of these issues, the court decided to give Pelican another chance to have a hearing with new legal help so he could properly address his request to withdraw his pleas. The decision was made to correct the case records and ensure that Pelican would be fairly represented in the future.

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F-2000-912

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In OCCA case No. F-2000-912, Jerry Leon McManus, Jr. appealed his conviction for several serious crimes, including Kidnapping, Assault, Rape by Instrumentation, and Sodomy. In an unpublished decision, the court decided to modify his convictions on two counts to a lesser charge and change the sentences but upheld his other convictions. One judge dissented. The case started in a court in Muskogee County where McManus was accused of multiple crimes against a victim. A trial jury found him guilty of most counts after being directed that he was not guilty of a few charges. Each of the remaining charges led to a life sentence that would run at the same time. On appeal, McManus presented several arguments about why he should not have been convicted. He said the trial court did not explain the rules correctly regarding one type of crime, leading to confusion. He also argued that the court allowed some evidence about past actions of his that were not relevant to the case, and he believed this affected the fairness of the trial. Furthermore, he claimed the prosecutor made improper comments during the trial and said there wasn’t enough evidence to support his convictions for certain crimes. The court reviewed these arguments carefully. It agreed with McManus on one point: the jury should have been instructed properly about the crime of Rape by Instrumentation. Since the jury was incorrectly steered towards a greater charge, the court decided to change McManus's convictions for this specific crime to a lesser offense of Second Degree Rape by Instrumentation and adjusted his sentence to fifteen years for those two counts instead of life imprisonment. However, the court found that even though some evidence from old crimes should not have been shared, it did not change the outcome of the trial. The jury's decision was seen as just because there was enough solid evidence presented against McManus. The court also thought that despite various issues raised during the trial, those did not combine to make the trial unfair or warrant a full reversal of all convictions. In summary, while the court changed some aspects regarding the Rape by Instrumentation, they affirmed the rest of the convictions and sentences for McManus, deciding he would serve a reduced time for the lesser charges but still maintain his convictions for the other serious crimes.

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