F-2018-184

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In OCCA case No. F-2018-184, Juanita Martinez Gomez appealed her conviction for First Degree Malice Murder. In an unpublished decision, the court decided to affirm her conviction. One judge dissented. Juanita, a 49-year-old woman, was found guilty of killing her daughter, Geneva Gomez, who was 33 years old, in Oklahoma City. The events took place in August 2016 after a violent encounter at Juanita's home. Geneva had previously lived with her boyfriend but went to collect her belongings with her mother. The boyfriend later became worried when he could not communicate with Geneva. The trial revealed that when the boyfriend visited Juanita's home, he found Geneva's body. She had severe injuries on her head and signs that she had been beaten. Instead of asking for help, Juanita showed strange behavior, claiming that Geneva was possessed. Evidence showed that Juanita attempted to clean up the crime scene and tried to prevent her boyfriend from leaving. At trial, Juanita did not testify, and her lawyers claimed that her odd behavior and statements meant she did not kill her daughter with intent. The jury, however, found that the evidence showed a clear intention to kill, considering the violent nature of the attack and Juanita's actions afterward. Juanita raised multiple claims of error in her appeal, but the court found that she had not been denied a fair trial. Her statements to the police about her motive for killing Geneva were not allowed in court because they were considered hearsay. The court reviewed the evidence and decided that it was sufficient to support the conviction for malice murder, rejecting Juanita's claims for lesser charges or defenses. The court ultimately affirmed the judgment of the District Court.

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F-2017-1104

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In OCCA case No. F-2017-1104, Joseph Johnson appealed his conviction for first degree murder. In an unpublished decision, the court decided to affirm the conviction. One judge dissented. Joseph Johnson was found guilty of killing Quavis Trae Cato during an argument over a car. The jury sentenced Johnson to life in prison without parole. The incident happened on October 10, 2016, when Johnson shot Cato 14 times, after a dispute over a stolen car. Witnesses testified that Johnson was armed with two guns and returned to the argument after briefly leaving the scene. During the trial, Johnson's defense argued for instructions on lesser charges of manslaughter, claiming he acted in the heat of passion or self-defense. However, the court found no evidence that Cato provoked Johnson sufficiently to warrant such instructions. The judges decided that Johnson escalated the situation by bringing guns into the argument and that simply being angry or upset does not justify the use of deadly force. Johnson also claimed that the prosecutor's closing arguments contained misconduct, asserting that they misled the jury about the facts and the law of self-defense, but the court found no errors that affected the fairness of the trial. Finally, Johnson’s defense argued that his lawyer didn't perform adequately by not presenting expert testimony about psychological conditions that might have affected his perception of the situation. However, the court concluded that even if the lawyer's performance was deficient, it wouldn't have changed the outcome of the trial because Johnson had initiated the conflict while armed. In summary, the court upheld the conviction for murder, concluding that Johnson acted with intent and malice when he killed Cato. The judges agreed that there was no basis for a lesser charge or for claims of ineffective counsel. Overall, the ruling was in favor of maintaining the original sentence.

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F 2015-121

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In OCCA case No. F 2015-121, the appellant appealed his conviction for first-degree manslaughter. In an unpublished decision, the court decided to affirm the judgment of the district court, but vacated the sentence and remanded the case for resentencing. One judge dissented. The case involved Erica Lashon Harrison, who was accused of murder but was convicted of the lesser charge of first-degree manslaughter. The jury sentenced her to 25 years in prison and a fine of $10,000. Harrison raised multiple issues on appeal. She argued that the state did not prove she was not acting in self-defense, that improper evidence was allowed, and that she did not have proper legal representation. The court reviewed the case and found that the evidence supported the jury's verdict. They determined Harrison's claim of self-defense could not stand as there was not enough evidence to show she was in danger. The court noted that while some incorrect evidence was introduced, it did not affect the conviction. However, they decided that the sentence should be vacated and the case sent back for resentencing due to the improper character evidence brought up during the trial. The judges concluded that this error needed to be addressed, even if the earlier convictions were proper. The opinion recognized that although some arguments made by Harrison were valid, overall, the court found her conviction was supported by overwhelming evidence. The dissenting judges believed the error did not have a significant impact on the jury's decision. They argued that the sentence should not be changed since the evidence clearly proved guilt, even if procedural mistakes were made during the trial. Overall, the court upholds the conviction but sends the case back for a new decision on sentencing. The judges agreed on the main decision, while differing on whether the sentence change was necessary.

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