F-2001-278

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In OCCA case No. F-2001-278, Kirk appealed his conviction for First Degree Murder, Domestic Abuse After Former Conviction of Domestic Abuse, and Assault and Battery with a Dangerous Weapon. In a published decision, the court decided that the convictions for First Degree Murder and Assault and Battery with a Dangerous Weapon were affirmed, while the conviction for Domestic Abuse After Former Conviction of Domestic Abuse was reversed and remanded with instructions to dismiss. One judge dissented. Kirk was found guilty after an incident on January 24, 2000, where he lived with Reva Gail Sweetin. That night, Kirk's friend, Billy Whiting, visited them. After drinking alcohol, Whiting became very drunk and fell off the couch multiple times. Sweetin tried to help him, but Kirk later emerged with a knife and attacked both Sweetin and Whiting, ultimately fatally stabbing Whiting. Kirk raised several arguments during his appeal. First, he claimed the evidence was not enough to support his convictions, arguing that the witnesses who testified against him were not credible. However, the court found that the evidence supported the jury's decision. Second, Kirk argued that being convicted of both Domestic Abuse and Assault and Battery was unfair because both were for the same action. The court agreed with this point and decided to dismiss the Domestic Abuse conviction. Kirk also claimed that the prosecutor inappropriately vouched for Sweetin's credibility during closing arguments. The court concluded that these comments did not indicate the prosecutor's personal opinion but were a response to the defense's arguments. Another concern raised by Kirk was about other crimes evidence that the prosecutor brought up regarding his ex-wife, but the court determined that the jury was properly instructed to disregard it. Kirk argued that he should have received instructions about the witness's past bad acts. While the court agreed this was a mistake, they believed it did not significantly affect the trial's outcome due to the strong evidence against him. Lastly, Kirk claimed the overall errors during the trial were enough to warrant a new trial. However, since the court had already determined that one of his convictions should be reversed, they found there were no additional grounds for relief. In summary, the court upheld the murder and assault convictions, dismissed the domestic abuse charge, ensuring a focus on the primary acts Kirk committed during the incident.

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F-2001-211

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In OCCA case No. F-2001-211, Sherl D. Batise appealed his conviction for Assault and Battery with a Dangerous Weapon. In an unpublished decision, the court decided to affirm the judgment and sentence, meaning Batise will continue to serve his time in prison. One judge dissented. Batise was found guilty by a jury and was sentenced to thirty-five years in prison. He argued in his appeal that he did not have good legal help during his trial, that his punishment was too harsh, and that the court did not properly decide how much money he should pay in restitution to the victim. The court looked closely at Batise's claims. They found that he could not prove that having better legal help would have changed the outcome of his trial. They also thought that a thirty-five-year sentence was appropriate, especially since Batise had prior felony convictions, including serious crimes. The court explained that a long sentence was justified given the severity of his actions, which involved attacking someone with a machete. Regarding the restitution, the court agreed with Batise that the trial judge did not follow the right steps when deciding how much money he should pay to the victim. The judge was supposed to take into account whether Batise could afford to make those payments without causing serious hardship to him or his family, and he also needed clear evidence of how much the victim lost. Since this was not done correctly, the court decided to vacate the restitution order and sent the case back to the trial court for further review. In summary, Batise’s conviction was upheld, meaning he remains in prison, but the order about how much he should pay the victim was canceled, and that will be re-evaluated by the trial court.

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F-2001-313

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In OCCA case No. F-01-313, *Steven Wayne Robertson* appealed his conviction for *Attempted Burglary in the First Degree* and *Assault with a Dangerous Weapon*. In an unpublished decision, the court decided to affirm the convictions but modified the sentences to run concurrently. One judge dissented. Robertson was found guilty by a jury for two crimes. He was accused of trying to break into a house (attempted burglary) and attacking someone with a weapon (assault). The jury decided to give him a ten-year prison sentence for each crime, which would usually mean he would spend twenty years in prison, but the court later decided he would serve both sentences at the same time, totaling ten years. Robertson claimed that it was unfair to punish him twice for what he said was one event. However, the court concluded that the two charges were based on different actions and that he could be punished for both. They looked at the evidence, like a witness who saw him with an axe, showing he was dangerous. He also said he should have had the chance to argue that he only caused damage to property instead of trying to break in, but the court found that this was not needed based on the facts of the case. Finally, Robertson thought he did not get a fair trial because of some things the prosecutor said during the trial. The court agreed that there were improper comments but still decided to keep the guilty verdicts and just change the sentences so that he would serve ten years instead of twenty.

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F-2001-10

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In OCCA case No. F-2001-10, Todd O'Shay Coburn appealed his conviction for Shooting With Intent to Kill and Assault with a Dangerous Weapon. In a published decision, the court decided to affirm the judgment of the trial court but modified the sentences to thirty-five years on each count to be served consecutively. One judge dissented.

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F-2000-805

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In OCCA case No. F-2000-805, Dustin Loy Wells appealed his conviction for several crimes, including Shooting with Intent to Kill and Possession of a Stolen Vehicle. In an unpublished decision, the court decided to affirm most of the convictions but reversed one conviction related to assault. One judge dissented on the decision to reverse that conviction. Dustin Loy Wells was tried in a jury trial and found guilty of multiple charges. The trial court then sentenced him to a total of forty-five years in prison and imposed several fines. Wells believed he was unfairly convicted and claimed there were mistakes made during his trial. He raised several points of error on appeal. First, he argued that the trial court should have separated (or severed) his different charges for trial, but the court found that joining them was appropriate. Second, he said there was a mistake when certain identification evidence was allowed. While the court agreed this was an error, it was considered harmless because there was strong other evidence against him. Third, Wells argued that there was not enough evidence to support one of his assault convictions and the court agreed, reversing that specific conviction. Further, he contended that some evidence should not have been admitted at all, but the court found that the trial court had made the right decision. Wells also claimed there was not enough proof that he intended to kill when he shot someone, but the court concluded there was sufficient evidence for the jury to reach that conclusion. Wells pointed to what he believed was prosecutorial misconduct, claiming he did not get a fair trial because the prosecutor had made improper statements about him. However, the court decided that these actions did not change the outcome of the trial. Finally, he claimed that the combined errors were serious enough to warrant a new trial, but the court found that only one conviction needed to be reversed. In summary, while the court upheld most of Wells’s conviction and sentence, it found that one of the assault convictions should be dismissed. One judge disagreed with this part of the decision.

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F 2000-1157

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In OCCA case No. F 2000-1157, the appellant appealed his conviction for Assault and Battery with a Dangerous Weapon. In an unpublished decision, the court decided to reverse the conviction and remand the case with instructions to dismiss. One judge dissented. The case was about a man named Robert G. Kirkpatrick, who was found guilty by a jury. He was working as a security guard when the incident happened. The jury decided he was guilty, but he thought he didn’t do anything wrong. He believed that he was just trying to keep the peace at a dance event, and he said he was acting in self-defense. Kirkpatrick asked the court to review two main points. First, he said that the judge should have explained what a dangerous weapon is and should have told the jury about a less serious crime they could consider. Second, he argued that the judge did not allow the jury to hear about self-defense. After looking carefully at the case, the court agreed that the second point was important. They believed that if the jury had been given the correct information about self-defense, they might not have found Kirkpatrick guilty. The judges explained that Kirkpatrick had the right to use reasonable force to do his job as a security guard, which included keeping people safe and protecting property. The law says that anyone, including security guards, can help maintain law and order. Because of this, the court decided that Kirkpatrick should not have been found guilty. They reversed the decision of the lower court and said the case should be dismissed. However, one judge disagreed with the dismissal. This judge thought that there was enough evidence to suggest that Kirkpatrick might have been acting in self-defense. They believed that the case should go back to court for a new trial where the jury could hear about self-defense properly. So, the main outcome was that Kirkpatrick's conviction was reversed. The case was sent back to the lower court with orders to dismiss the charges. The decision showed that proper instructions and understanding of the law are very important in a trial.

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F-2000-671

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In OCCA case No. F-2000-671, Robert F. Barnes appealed his conviction for Maiming and Assault and Battery with a Dangerous Weapon. In an unpublished decision, the court decided to affirm the conviction for Maiming but reversed the conviction for Assault and Battery with a Dangerous Weapon, instructing the lower court to dismiss that charge. One justice dissented. The case began when Barnes was accused of injuring someone during a single event. The jury found him guilty of Maiming but decided on a lesser charge for the second count. Barnes received a punishment, which included jail time and fines, along with an order for restitution to the victim. When Barnes appealed, he raised several arguments. He claimed that he should not have been punished for both charges since they came from the same event. The court agreed, stating that it was against the law to punish someone multiple times for one crime, so they reversed the second charge. Barnes also argued that the jury should have been given instructions on lesser charges during the trial, but the court found that the evidence did not support this. Thus, the judge's decision was not seen as a mistake. Additionally, Barnes said that there was misconduct during the trial, but the court did not find this to be serious enough to change the original decision. Lastly, the court noted that there was not enough information in the records about the restitution order, so they couldn't decide if it should be adjusted. In summary, the court confirmed the guilt of Barnes for Maiming (Count I) but decided that he should not be punished for the second charge (Count II), which was reversed.

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F-1999-1084

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In OCCA case No. F-1999-1084, Jesse Stanard appealed his conviction for Assault and Battery with a Deadly Weapon with Intent to Kill and two counts of Assault and Battery with a Dangerous Weapon. In an unpublished decision, the court decided to reverse his conviction for the first count and remand it for a new trial, but affirmed the convictions for the other two counts. One judge dissented.

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