C-2015-1063

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In OCCA case No. C-2015-1063, Pete Wolfe appealed his conviction for multiple crimes, including attempted robbery and assault with a dangerous weapon. In an unpublished decision, the court decided to grant his request for a writ of certiorari and remand the case for further proceedings. One judge dissented. Pete Wolfe entered guilty pleas without fully understanding what that meant. He later said that his lawyer's advice was not good and wanted to take back his guilty pleas. The court looked at whether he had a fair chance to do this and said that he did not have a lawyer who could represent him properly during the hearing. The court agreed that his lawyer might not have given him the best advice, which was important. So, they decided to let him have a new lawyer who could help him better and to have a new hearing on his request to withdraw the guilty pleas. This was to make sure his rights were protected in the legal process.

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F-2015-155

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In OCCA case No. F-2015-155, Sauter appealed his conviction for robbery with a firearm and burglary in the first degree. In a published decision, the court decided to reverse the conviction due to insufficient evidence. One judge dissented. Sauter was found guilty by a jury in the District Court of Nowata County and was sentenced to a total of forty-seven years in prison along with fines. The evidence presented during the trial primarily came from two accomplices, Welsh and Fulcher. Sauter argued that since these accomplices’ testimonies were not supported by independent evidence, his convictions should not stand. The court explained that under Oklahoma law, the testimony of an accomplice cannot solely support a conviction unless there is other evidence that connects the defendant to the crime. The court found that while there was evidence linking Sauter’s vehicle to the crimes, there was no evidence that directly implicated Sauter himself. Since the only evidence against Sauter came from the testimonies of Welsh and Fulcher, which lacked corroboration, the court had to reverse the convictions. The dissenting judge felt there was enough independent evidence connecting Sauter to the crimes, particularly the fact that Sauter's car was used and that he had been seen driving it shortly before the home invasion. This judge believed that the jury could conclude Sauter was complicit in the robbery and burglary based on the evidence presented.

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F-2015-374

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In OCCA case No. F-2015-374, Jerrell Otis Thomas appealed his conviction for Shooting with Intent to Kill, Robbery with a Weapon, and Possession of a Firearm After Former Conviction of a Felony. In an unpublished decision, the court decided to affirm the conviction for Shooting with Intent to Kill and Possession of a Firearm, but to reverse the conviction for Robbery with a Weapon with instructions to dismiss. One judge dissented. Jerrell Otis Thomas was found guilty by a jury for three serious crimes. The main issue was whether he was being punished too harshly for his actions. He argued that he should not have been convicted for both Shooting with Intent to Kill and Robbery with a Weapon because they were connected, like two parts of the same event. The court agreed with him on this point and felt that, under the law, he should not be punished twice for what they saw as one act. Thomas also claimed that he did not get a fair trial because the public was kept out of the courtroom while a key witness testified. The court looked into this and decided that the closure was justified due to threats made against the witness, ensuring their safety. He further claimed that his lawyer did not help him enough during the trial. After considering all the facts, the court found that his lawyer did their job okay, and there wasn't enough evidence to show he was harmed by their actions. Finally, the judge determined that the way Thomas's sentences were set to run (one after another) was acceptable, even though they reversed one of his convictions, meaning he would serve less time than originally planned for that charge. Overall, Thomas won on one point regarding his robbery conviction, meaning that part of the punishment was taken away, but his other convictions were upheld. The court’s decisions aimed to ensure no unfair punishment occurred while also maintaining the law's integrity.

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C-2014-584

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In OCCA case No. C-2014-584, Gilbert Paz appealed his conviction for First Degree Felony Murder, Shooting with Intent to Kill, Conspiracy, Attempted Robbery with a Firearm, and Possession of a Firearm After Conviction of a Felony. In an unpublished decision, the court decided to vacate the District Court's denial of Paz's Motion to Withdraw Plea and remanded the case for further proceedings. One member of the court dissented. Gilbert Paz was involved in a serious crime case where he initially pleaded guilty to multiple charges. After some time, he wanted to take back his guilty pleas, claiming that he didn’t fully understand what he was doing when he agreed to the plea deal. He felt confused and believed his lawyer wasn't helping him properly. The case started when a burglary went badly, resulting in one person being killed and another being hurt. After his guilty pleas were accepted in court, Paz tried to withdraw them, but the judge said no. The judge continued to give him time to get a new lawyer but did not allow him to take back his pleas. Paz argued five main points in his appeal. He claimed that the judge helped too much during his plea negotiations, that his guilty plea was not made knowingly or intelligently, that he was denied his right to have a lawyer present during important parts of the trial, and that his lawyer did not provide effective help. He also claimed that all these issues together made it unfair for him. The court reviewed everything and determined that the main issue was that Paz did not receive the help of a lawyer when trying to withdraw his guilty pleas. Both Paz and the State agreed that he should have had a lawyer to assist him in this situation. The court recognized that without proper counsel, Paz's claim that his pleas were not voluntary could not be dismissed as harmless. As a result, the court decided to vacate the previous decision and send the case back to the District Court so they could properly address Paz's request to withdraw his pleas.

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F-2014-336

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In OCCA case No. F-2014-336, Deandre Bethel appealed his conviction for First Degree Felony Murder, Robbery with a Firearm, Transporting a Loaded Firearm in a Motor Vehicle, and Public Intoxication. In a published decision, the court decided to affirm his convictions for First Degree Felony Murder and the other charges except for Robbery with a Firearm, which was reversed and remanded with instructions to dismiss that charge. One judge dissented. Bethel was convicted by a jury in Tulsa County for crimes related to the death of a victim during a robbery. The jury sentenced him to life in prison for murder, along with additional sentences for the other charges. During the appeal, Bethel raised several issues, arguing that there was not enough evidence for his convictions, that he should not be punished for both murder and robbery based on the same incident, and that he did not receive a fair trial for various reasons, including how the jury was instructed and what evidence was allowed. The court found that the evidence was sufficient to convict him of murder and upheld that conviction. However, they agreed that having separate convictions for robbery and murder from the same act violated his rights under the Double Jeopardy Clause, so they reversed the robbery conviction. Bethel also argued that the trial court made errors in not instructing the jury about lesser offenses and in handling jury questions, but the court found these claims did not warrant a new trial. Other claims, such as the admission of jail phone calls and victim impact statements, were also rejected. In the end, the court affirmed the convictions for murder and the other charges, but dismissed the robbery charge, allowing Bethel to focus his appeal on the correct aspects of his case.

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F 2014-3

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In OCCA case No. F-2014-3, Edwin Jermaine Daniels appealed his conviction for several serious crimes including burglary, robbery, kidnapping, and assault. In an unpublished decision, the court decided to affirm most of the trial court's decisions but did vacate some of the fines associated with his sentences. One judge dissented. During the trial, Daniels was found guilty of multiple counts connected to violent crimes he committed with a co-defendant. The judge sentenced him to a total of many years in prison and imposed fines for each count. Daniels raised several issues on appeal, arguing that there were mistakes made during his trial that affected the fairness of the process. First, he claimed that the jury instructions were confusing and reduced the State’s burden to prove guilt. The court found that since there were no objections to the instructions during the trial, they did not affect the trial's result. Second, Daniels objected to being told the fines were mandatory, but the court found that this was also a mistake that the State admitted to; thus, the fines were removed for certain counts. He also claimed prosecutorial misconduct, arguing that comments made by the prosecutor during the trial unfairly influenced the jury. The court ruled that these comments did not significantly change the trial's outcome. Daniels further contended that he did not receive effective legal assistance. The court concluded that his lawyer's performance did not meet a standard of failure that would have changed the trial's result. In the end, while the court affirmed the convictions, it removed the fines that were wrongly imposed, ensuring that Daniel's rights were respected where the trial process fell short.

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F-2013-608

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In OCCA case No. F-2013-608, the appellant appealed his conviction for multiple robbery and firearm-related charges. In an unpublished decision, the court decided to affirm most of the convictions and sentences, but it reversed one conviction for possession of a firearm after a former felony. One judge dissented.

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C-2013-730

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In OCCA case No. C-2013-730, Mon'tre Brown appealed his conviction for First Degree Felony Murder, First Degree Burglary, and Attempted Robbery. In an unpublished decision, the court decided to reverse the denial of his motion to withdraw his guilty plea and remand the case to the District Court. The dissenting opinion argued against the majority's decision. Mon'tre Brown was given several charges, including serious ones like murder and burglary. He pleaded guilty to all counts in April 2013 but later wanted to change his plea, claiming he didn’t understand what he was doing due to his mental condition. The trial court denied his request, leading to this appeal. During the initial plea hearing, there were concerns about Mon'tre's mental competency because of his low IQ, which was reported as around 65. His attorney was aware of his learning disabilities, but they appeared not to conduct a thorough investigation into his mental health before allowing him to plead guilty. Mon'tre claimed he felt pressured to plead guilty because his counsel had said he couldn’t win the case. At a later hearing, Mon'tre's family and mental health professionals testified that he struggle to understand the legal concepts involved in his case, which raised questions about his ability to make informed decisions. Some of the professionals stated he didn’t have a clear understanding of what his guilty plea meant or the consequences of waiving his right to trial. The court found that the attorney had not adequately assessed Mon'tre's competence or sought further evaluations that could have supported his claim of mental retardation. It decided that his attorney's failure to investigate his mental condition and present sufficient evidence during the plea process was ineffective assistance of counsel. Ultimately, the court believed that there’s a reasonable chance that had adequate evidence of Mon'tre's mental condition been presented early, it may have changed the outcome of his guilty plea. Thus, they ruled in favor of allowing Mon'tre to withdraw his guilty plea and directed for conflict-free counsel to represent him in further proceedings.

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F-2013-668

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In OCCA case No. F-2013-668, Aaron M. Holmes appealed his conviction for Possessing A Firearm After Felony Conviction. In an unpublished decision, the court decided to modify his sentence. One judge dissented. Aaron M. Holmes was found guilty by a jury for having a gun after previously being convicted of felonies. The jury sentenced him to life in prison and a fine of $10,000. Holmes appealed the conviction, stating several reasons he believed the trial was unfair. He argued that the prosecutor made mistakes by asking the jury to think about evidence from the first part of the trial in later parts. He also claimed his lawyer didn't help him well and that the jury was unfairly influenced by information about his past sentences, leading to a harsh punishment. The jury did clear Holmes of two other charges related to robbery and assault. During the court's review, it was found that the prosecutor was correct in including evidence from the earlier stages of the trial when discussing Holmes's situation. Because Holmes did not raise this concern during the trial, he could not challenge it fully on appeal. Concerning Holmes's claim about the prosecutor mentioning his past sentences, the court found that this was indeed a mistake since it could affect how the jury decided on his punishment. Because the jury opted for the maximum sentence possible, the court modified Holmes's punishment from life in prison to 30 years. As for the argument about the lawyer, the court decided it didn't make sense to say the lawyer was ineffective since the earlier issue was found not to be an actual error. Thus, this part of Holmes's appeal was denied. The court ultimately decided to keep the conviction but changed the length of the prison sentence to be less than what was initially given.

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F-2013-619

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In OCCA case No. F-2013-619, Carty appealed his conviction for robbery with a dangerous weapon. In an unpublished decision, the court decided to affirm the conviction but vacate the restitution order. One judge dissented. Carty was found guilty of using a dangerous weapon during a robbery. He was sentenced to ten years in prison and had to pay $625 in restitution to the victim. Carty thought that the trial court made a mistake when it decided how much he should pay as restitution. He argued that the court did not follow the correct rules when ordering the restitution. The court explained that when a victim suffers financial loss because of a crime, the trial court can order the defendant to pay restitution. However, this amount must be proven with reasonable certainty. This means that the victim needs to provide clear evidence of their financial loss, like how much they spent on medical bills or other costs resulting from the crime. The judges reviewed the records from Carty’s trial. They found that there was no evidence showing how the victim calculated their financial loss, and the victim did not share their losses during the sentencing. Because there was not enough proof provided to establish the victim's economic loss, the court agreed that the trial court made a mistake in deciding the restitution amount. The court ultimately upheld Carty's conviction but ordered that the restitution amount be looked at again to ensure it was determined correctly based on the victim’s actual losses.

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F-2012-170

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In OCCA case No. F-2012-170, Darnell Lamar Wright appealed his conviction for Robbery with a Firearm, False Personation, and Assault while Masked. In an unpublished decision, the court decided to affirm the convictions for Robbery with a Firearm and False Personation but reversed the conviction for Assault while Masked. One judge dissented. The case began when Wright was tried by a jury and found guilty on multiple counts. The jury recommended a life sentence for the robbery charge, four years for false personation, and twenty years for assault while masked. The judge sentenced him accordingly, ordering the sentences to run one after another. Wright raised several issues in his appeal. He argued that the trial court made errors that affected the fairness of his trial. One main concern was about how the court answered a jury question regarding parole eligibility for some of the charges. Wright claimed that the response was confusing and led to misunderstandings about how long he might serve. He also contended that there wasn't enough proof for the false personation charge, and he believed the law about that charge was unclear and unfair. Additionally, he argued that being convicted of both robbery with a firearm and assault while masked for the same act was not right, claiming it violated the principle against double jeopardy. Wright thought that evidence shown during the trial, which wasn’t directly related to him or the robbery, shouldn't have been allowed. He felt that this hurt his right to a fair trial. Lastly, he claimed that many small errors during the trial added up to deny him a fair chance. After reviewing Wright's arguments and the entire case, the court found that there was a valid point in Wright's argument about the assault charge. The court agreed that the attack with a weapon and the robbery were part of the same event and therefore should not both result in separate punishments. However, they found no substantial errors with the other appeals he raised. The judges stated that the original instructions the jury received were clear and that any confusion they had didn’t change the outcome of the trial. They also determined that the law concerning false personation was not vague and that the evidence against Wright was sufficient for the charges. Thus, while the court upheld the convictions for robbery and false personation, they overturned Wright’s conviction for assault while masked, instructing the lower court to dismiss that charge. The decision meant that Wright would have to serve time for the robbery and false personation but not for the assault.

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F-2013-327

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In OCCA case No. F-2013-327, Claude M. Byrd, III appealed his conviction for conspiracy to commit robbery, robbery with a firearm, and kidnapping. In an unpublished decision, the court decided to reverse the conviction for kidnapping in Count 9 while affirming all other judgments and sentences. One judge dissented. In this case, Byrd was found guilty in a trial without a jury. He had several charges against him, which included conspiracy to commit robbery, robbery, and kidnapping. The court sentenced him to serve five years for conspiracy, fifteen years for robbery (with part of that suspended), and ten years for each kidnapping charge, all to be served at the same time. Byrd argued that the evidence against him was not enough to prove he committed robbery against two people and that he was unjustly punished for multiple kidnapping charges. He claimed that his lawyer didn’t do a good job defending him and that some evidence used in his trial should not have been allowed. When the court looked at the evidence, they decided that Byrd was involved in the crimes even if he wasn't the one who took the items. His actions during the robbery could hold him responsible for the other crimes that happened afterward, like kidnapping people in the apartment. Regarding his claims of double punishment, the court found that Byrd's actions involved separate victims and crimes that did not violate the law against multiple punishments. However, they agreed that one of his kidnapping charges was too closely related to a robbery charge for Gonzalez, leading to the reversal of that specific conviction. The court concluded Byrd's lawyer did not fail in a significant way that would change the outcome of the trial. They also determined that the trial judge had not made mistakes in allowing certain evidence or in sentencing him. In the end, Byrd lost his appeal for most charges, but the court reversed the kidnapping conviction for one of the victims.

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F-2012-1039

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In OCCA case No. F-2012-1039, Earnest Toby Bearshead appealed his conviction for Robbery with a Firearm and False Personation. In a published decision, the court decided to affirm his conviction for Robbery with a Firearm but reversed his conviction for False Personation. One judge dissented. Bearshead was found guilty of two crimes: Robbery with a Firearm and False Personation. The jury decided he should go to prison for nine years for the robbery and five years for the false personation. The sentences would be served one after the other. Bearshead did not argue against the robbery conviction but did challenge the false personation conviction based on three main issues. First, Bearshead claimed that there wasn't enough evidence to prove he committed false personation. The law says that to be guilty of false personation, a person has to pretend to be someone else and do something that could cause that person to face legal issues or gain some benefit. Bearshead argued that since a video of him talking to the police was not officially accepted as evidence, he could not be said to have assumed another person's identity. Despite this claim, the court found that Bearshead had indeed provided evidence of using a false name when talking to the police. A detective testified that Bearshead initially said his name was “Oscar” and later corrected it to “Toby.” The detective had noted this on a form, showing that Bearshead tried to lie about his identity. The second point Bearshead raised was that even if he did use a false name, he did not do anything to get someone else in trouble, as there were no legal issues connected to the name Oscar Bearshead. The State argued he would have benefitted in some way, such as avoiding responsibility for the robbery. However, there was no evidence that showed Bearshead actually gained anything from pretending to be Oscar. He still faced the charges and was found guilty of the robbery. The court pointed out that Bearshead's jury was not instructed about the possibility of benefiting from using a false name, which was necessary for proving false personation in this case. Without clear evidence that he gained any benefits from the impersonation, the court decided the State did not meet the burden of proving all parts of the crime. As a result, the court reversed Bearshead's conviction for False Personation and ordered it to be dismissed. However, his conviction for Robbery with a Firearm stood, and he would still serve the sentence related to that crime. The decision led to one judge expressing a different opinion from the others.

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F-2012-1126

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In OCCA case No. F-2012-1126, Kevon Andra McLaren appealed his convictions for robbery with a firearm and conspiracy to commit robbery with a firearm, among other charges. In a published decision, the court decided to reverse one of the counts of kidnapping while affirming the other convictions. One judge dissented. In the case, McLaren was found guilty of several serious crimes, including robbery, kidnapping, and shooting with intent to kill. The court focused on multiple offenses he committed against several people, determining that some of the convictions did not violate laws against double punishment because they were for different acts against different victims. However, they found one of the kidnapping charges was too similar to a robbery charge; thus, they reversed that particular conviction. Additionally, McLaren challenged the trial court’s decision to order restitution, claiming it did not follow proper procedures. However, the court ruled that he did not raise this issue correctly and that there was enough evidence to support the restitution ordered for the victims. Overall, while the court reversed one conviction, most of McLaren's convictions and sentences were upheld.

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F-2012-721

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In OCCA case No. F-2012-721, Deshaunte Devon Coulter appealed his conviction for Robbery with a Dangerous Weapon. In an unpublished decision, the court decided to affirm Coulter's conviction and sentence but vacated the restitution order, directing a new determination of the victim’s loss. One judge dissented. Coulter was found guilty by a jury and sentenced to thirty years in prison, along with an order to pay $2,300 in restitution. He raised several issues on appeal, including claims of unfair trial due to the admission of other crimes evidence, DNA evidence issues, prosecutorial misconduct, and excessive sentencing. The court looked closely at each of Coulter’s arguments. For the first claim about other crimes evidence, the court found there was no actual error because the officers’ testimonies did not specifically reference other crimes involving Coulter. Since Coulter did not challenge this during the trial, he could only appeal on the grounds of plain error, which the court ruled did not occur. In the second argument about DNA evidence, the court noted that Coulter had not shown that the State had erred. The evidence was timely provided, and the court did not find a Brady violation regarding the lack of lab notes since Coulter did not request them in time. For the third claim of prosecutorial misconduct, the court found that there was no actual error. The prosecutor’s comments during the trial were not improper, and thus did not violate Coulter's rights. In the fourth argument, regarding the claim that his sentence was excessive, the court concluded that the sentence fell within the legal limit and was not shockingly inappropriate under the circumstances. In the fifth claim, which concerned the assessment of restitution, the court found that the trial court did not follow proper procedures. The evidence presented at the sentencing didn’t adequately prove the victim's financial losses, so the restitution order was vacated. Finally, Coulter claimed that the cumulative effect of all errors deprived him of a fair trial, but the court found that wasn't the case. The decision affirmed Coulter's conviction and sentence while remanding the restitution matter for proper evaluation.

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F-2012-167

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In OCCA case No. F-2012-167, Bryan Decheveria Aragon appealed his conviction for robbery with a firearm, assault and battery with a dangerous weapon, conspiracy to commit a felony, burglary in the first degree, kidnapping, and possession of a firearm in the commission of a felony. In an unpublished decision, the court decided to affirm some of Aragon's convictions but reversed others. One judge dissented. Aragon was found guilty of several serious charges, including robbery, assault, and kidnapping, after a jury trial in the District Court of Cleveland County. The jury handed down various sentences, adding up to a long term in prison. Aragon argued that errors occurred during his trial, including the prosecution calling co-defendants who refused to testify, which he claimed violated his rights. He also pointed out concerns about the prosecutor’s conduct and whether he faced multiple punishments for the same criminal act. The court found that the prosecutor’s decision to call the co-defendants did not require a reversal. Even though the co-defendants didn’t answer every question, they provided some responses and were available for cross-examination. Therefore, this did not infringe upon Aragon’s rights. The court also ruled that any claims regarding prosecutorial misconduct did not significantly impact Aragon's fair trial. However, the court acknowledged that Aragon’s conviction for possessing a firearm during a felony had to be dismissed, as it did not comply with legal standards. The kidnapping charge was also reversed because it arose from the same act as the robbery, which meant that it violated rules against double punishment. On the other hand, the charges for robbery and assault were allowed to stand since they were considered separate actions. In summary, the decision affirmed most of the judgment and sentences but reversed those related to kidnapping and possession of a firearm.

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F-2011-473

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In OCCA case No. F-2011-473, Joseph Randal Arndt appealed his conviction for Robbery with a Firearm. In a published decision, the court decided that Arndt's right to cross-examine his co-defendant was denied, which required a reversal of his conviction and a new trial. One judge dissented. The case involved Arndt, his co-defendant, and another man who planned to buy marijuana from a person named Ouni. Instead of a legal transaction, things turned violent when Arndt's accomplice pulled a gun and shot Ouni when he thought he was cheated. Arndt was in the car during this event and was accused of participating in the robbery. During the trial, Arndt argued that he should have been allowed to question his co-defendant about important details that could affect his case. These details included accusations that Arndt had a shotgun and was told to push Ouni out of the vehicle. Arndt's lawyer objected when this information was presented during the trial, but the judge denied the request to cross-examine the co-defendant. Arndt maintained that both he and the co-defendant claimed to have no knowledge of any robbery plan. When the co-defendant testified against Arndt, the court should have allowed Arndt to cross-examine him. The court found that the judge's failure to do so was a serious error that harmed Arndt's rights. In conclusion, the decision emphasized that when someone testifies against you in court, you have the right to question them. Since Arndt was not given this opportunity, the court decided that he deserves a new trial where he can fully defend himself.

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F-2011-866

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In OCCA case No. F-2011-866, Emanuel D. Mitchell appealed his conviction for Murder in the First Degree and Conspiracy to Commit a Felony (Robbery with a Dangerous Weapon). In a published decision, the court decided to reverse and remand Mitchell's case for a trial where he may be allowed to represent himself. One judge dissented. This case began when Mitchell was found guilty of murder and conspiracy after a jury trial. He was sentenced to life in prison for the murder and 35 years for conspiracy, along with an additional 10 years for unauthorized vehicle use. Mitchell appealed, stating four main reasons why he believed his conviction should be overturned. First, Mitchell claimed that he was not allowed to represent himself during his trial, which he argued violated his rights. He believed he could defend himself better than his attorney. However, the court denied his request for self-representation, stating that it was not in his best interest. The court should have ensured that he was fully aware of the potential risks associated with representing himself before denying his request. Second, Mitchell argued that the laws applied to him during his murder prosecution were not supported by the evidence presented. He believed his rights were violated, which would require the court to dismiss the murder charge. Third, Mitchell stated that he was not allowed to present a full defense in court, suggesting that this was an unfair violation of his rights. Finally, he claimed that his attorney did not provide effective assistance, which is a right guaranteed by law. After reviewing all the information in the case, the court found that Mitchell's first argument was valid. It concluded that the trial court had wrongly denied his request to represent himself and that this mistake warranted a reversal of his conviction. They remanded the case back to the lower court so Mitchell could exercise his right to defend himself. Although the court found that the felony-murder charge against Mitchell was valid, and that there was no error in the jury instructions about the defenses, they acknowledged that these points were not the main issue due to the ruling on self-representation. Consequently, the matter about ineffective counsel was deemed moot. The final decision was to reverse the current judgments against Mitchell and send the case back to start fresh, allowing Mitchell the opportunity to represent himself.

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F-2011-866

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In OCCA case No. F-2011-866, Emanuel D. Mitchell appealed his conviction for Murder in the First Degree and Conspiracy to Commit a Felony (Robbery with a Dangerous Weapon). In a published decision, the court decided to reverse his convictions and remand the case for a new trial where Mitchell may have the chance to represent himself. One judge dissented. Mitchell was found guilty of serious crimes and was sentenced to life imprisonment for murder and additional years for conspiracy. He felt he was not being properly defended by his attorney and had asked multiple times to have his attorney replaced. Eventually, he requested to represent himself, expressing dissatisfaction with his legal counsel. The court found that Mitchell’s request to represent himself was clear and that he understood the risks of doing so. The court concluded that he had the constitutional right to self-representation, which had been violated when his request was denied. Although the court addressed other issues raised in Mitchell’s appeal, the main reason for the reversal was the denial of his right to represent himself. The dissenting opinion argued that the trial court acted correctly by not allowing Mitchell to self-represent due to his disruptive behavior during the trial process. In summary, the decision allows Mitchell another opportunity to conduct his own defense, considering that he properly requested this right before the trial proceedings were fully underway.

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F-2011-407

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In OCCA case No. F-2011-407, Kevin Maurice Brown appealed his conviction for multiple counts of robbery and firearm possession. In an unpublished decision, the court decided to affirm his convictions on all counts except for one count of possession of a firearm, which was reversed. One judge dissented. Kevin Brown was found guilty of robbing several businesses in Tulsa, using a firearm during these crimes. The jury decided on severe punishment, including life imprisonment and hefty fines. The trial also took note of Brown's previous felonies, which influenced the decisions. During the case, issues arose regarding double punishment for two counts of firearm possession that were related to the same gun. Brown’s defense argued that charging him with both counts violated the principle against double jeopardy, which protects individuals from being punished multiple times for the same crime. The court agreed that the evidence showed he was being punished twice for the same offense, which is not allowed, and reversed the conviction for one of those counts. Brown also felt he didn’t receive good legal help during his trial because his lawyer didn’t challenge the double counting of the firearm charges. However, since one count was reversed, this concern was considered resolved. Additionally, Brown thought his sentences were too harsh, especially since no one was hurt in the robberies. The court stated that while the sentences were serious, they were within the law, and given his past convictions, they did not seem extreme or unjust. Brown submitted additional concerns in a separate brief, but these were not accepted because they did not follow required guidelines. As a result, the court denied those arguments. In summary, while Brown's convictions for robbery and firearms were mostly upheld, one of the firearm possession counts was overturned due to improper double punishment. The court found no errors significant enough to change his overall sentence, which reflected the severity of the crimes committed.

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F-2011-1047

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In OCCA case No. F-2011-1047, Melvin Edward Dan appealed his conviction for robbery with a dangerous weapon, burglary in the first degree, and possession of a firearm after previous juvenile adjudication for a felony. In an unpublished decision, the court decided to affirm the convictions for robbery and burglary, but reverse the conviction for possession of a firearm. One judge dissented.

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F-2011-656

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In OCCA case No. F-2011-656, Jason Kenneth Dimaggio, Jr. appealed his conviction for multiple crimes, including robbery and assault. In an unpublished decision, the court decided to reverse one conviction but affirmed all others. One judge dissented. Jason Dimaggio was found guilty of several offenses that occurred during a violent crime spree in two Oklahoma counties. His crimes included robbery with a weapon, assault with a dangerous weapon, and other charges. He received lengthy sentences, with some of them being consecutive, meaning he would serve them one after another. During the appeal, Dimaggio argued that he didn't get a fair trial for several reasons. He claimed that some evidence about other crimes should not have been allowed, and that he was denied the chance to confront witnesses due to hearsay evidence. His main points included: 1. Other-crimes evidence was presented improperly. 2. Hearsay evidence was used against him. 3. The trial court allowed irrelevant photographs of him to be shown to the jurors. 4. There was misconduct by the prosecutor. 5. The jury was incorrectly instructed about his flight after crimes. 6. The combined effect of errors denied him a fair trial. 7. The court should not have ordered his sentences to be served consecutively. 8. He was unfairly punished multiple times for the same conduct. 9. The evidence did not support some of his convictions. The court reviewed all these claims and found that the evidence about earlier crimes was acceptable as part of the overall story of the events. Although there were issues with some evidence, like the photographs, the judges felt the impact on the trial was not significant enough to change the outcome because there was strong evidence against Dimaggio from witnesses. Regarding the prosecutor’s comments during the trial, the court noted that errors weren’t severe enough to matter because they were not objected to at the time. They also agreed that the jury's instruction about flight wasn't appropriate, but again, it didn't affect the strong evidence of guilt. Dimaggio’s claims of double jeopardy (being punished twice for the same crime) regarding his convictions for assault and fleeing from a police officer were not supported. The court ruled that the crimes were separate and had different elements. However, the court did agree that he should not be convicted for possession of a controlled substance because it was part of the robbery and should not have been counted as a separate crime. Thus, that conviction was reversed. In conclusion, except for the reversed conviction, the court upheld Dimaggio's multiple sentences and affirmed the trial court’s decisions in all other respects.

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F-2010-1237

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In OCCA case No. F-2010-1237, James Lee Gilford, Jr. appealed his conviction for robbery with a weapon, assault and battery with a dangerous weapon, assault while masked or disguised, and first-degree burglary, each after prior felony convictions. In an unpublished decision, the court decided to reverse his convictions for assault and battery with a dangerous weapon and assault while masked or disguised but affirmed his convictions for robbery with a weapon and first-degree burglary. One judge dissented regarding the reversal of one of the convictions. The case began when Gilford was tried by a jury and convicted on several counts. The jury decided that Gilford should spend life in prison for each count, and the sentences were ordered to be served one after the other. Gilford appealed, raising several issues, including concerns about jury selection, due process, multiple punishments for the same act, and inaccuracies in his judgment and sentence. 1. **Jury Selection**: Gilford argued that the prosecutors unfairly removed minority jurors. The court found that the prosecutor had provided good reasons for these removals, and Gilford did not prove any discrimination occurred in the jury selection process. 2. **Due Process Rights**: Gilford claimed he was denied a fair trial because the state didn't share some important information about a key witness. However, the court determined that this did not affect the outcome of the trial significantly. 3. **Multiple Punishments**: The court analyzed whether Gilford's convictions were for separate crimes or for just one act. Gilford's robbery, where he stabbed the victim and took his things, was connected to assaults he committed during that event. The court decided that the assault and battery charges arose from the same action as the robbery and therefore fell under laws that prevent punishing someone twice for the same act. 4. **Judgment and Sentence Issues**: Since the court reversed the assault charges because they were multiple punishments for a single act, they found that any inaccuracies in the sentencing for those charges didn't matter anymore. The final decision was that Gilford's sentences for robbery with a weapon and first-degree burglary would stay, while the court ordered the other two charges to be dismissed due to legal protections against multiple punishments. There was a dissenting opinion by one judge who felt that the conviction for assault while masked should not have been reversed.

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C-2010-1060

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In OCCA case No. C-2010-1060, Carlos David Oliver appealed his conviction for robbery with a firearm, assault with a dangerous weapon, assault while masked, and resisting an officer. In an unpublished decision, the court decided to deny his appeal in part and grant it in part. The court reversed and dismissed two of the charges: assault with a dangerous weapon and resisting arrest. The dissenting opinion was noted but did not specify details.

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C-2010-1179

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In OCCA case No. C-2010-1179, Donnell Devon Smith appealed his conviction for multiple crimes including robbery, sexual battery, and others. In an unpublished decision, the court decided to deny his appeal. One judge dissented. Smith was charged with various offenses in multiple cases and pleaded guilty to all charges on October 19, 2010. He received several sentences, some of which were life sentences, and others ranged from ten to twenty years. After entering his pleas, Smith requested to withdraw them, saying he felt coerced and that he had not been properly informed about the punishments he faced for his crimes. The court looked at three main points raised in Smith's appeal: 1. Smith argued he should be allowed to withdraw his plea for one count of attempted robbery because the ten-year sentence he received was too long. The court found that his sentence was actually five years too long and modified it to the correct five-year maximum. 2. Smith claimed he did not understand the range of sentences for some charges and that this lack of understanding meant his pleas were not voluntary. The court decided that while he had been misadvised, the pleas still appeared to be valid overall because he benefitted from how the sentences were set up to run concurrently. 3. He asserted that he was punished twice for some of the same actions and that some of his pleas lacked enough factual support. The court concluded that the evidence supported the different charges, and there were no double jeopardy issues. The court ultimately affirmed his convictions for all cases besides modifying the sentence that was too long and correcting a minor paperwork mistake regarding how sentences should run together. The court ruled that his plea was knowingly and voluntarily made despite the confusion around sentencing ranges. The decision closed by affirming the ruling of the lower court regarding Smith's attempt to withdraw his pleas, confirming most of the sentences while adjusting the one that exceeded the maximum allowed by law.

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