C-2021-504

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In OCCA case No. C-2021-504, Starlyn Sean Hill appealed his conviction for multiple serious crimes, including aggravated possession of child pornography and multiple counts of rape and sodomy. In an unpublished decision, the court decided to grant his appeal, allowing him to withdraw his guilty plea. One judge dissented from the opinion. Hill had pleaded guilty to several counts, and upon sentencing, he received a lengthy prison term. After his plea, he filed a motion to withdraw it, arguing that he felt rushed into making his decision and that he was misinformed about the potential consequences. He also raised issues regarding the statute of limitations for some of the charges, claiming that ten of them should not have been prosecuted because they were filed too late. The court reviewed the case and found that the prosecution for some of the counts may indeed have been beyond the statute of limitations. They concluded there were errors in how Hill’s plea was accepted, particularly as he did not properly waive his right to challenge the statute of limitations on several counts. This led the court to determine that his guilty plea was not made voluntarily or intelligently. As a result, the court vacated Hill's judgment and sentence and instructed that he be allowed to withdraw his guilty plea. The case was sent back to the lower court for further proceedings that would not contradict this new decision.

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F-2008-667

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In OCCA case No. F-2008-667, Daniel Timothy Hogan appealed his conviction for First Degree Rape by Instrumentation, Lewd Molestation, and Forcible Sodomy. In an unpublished decision, the court decided to affirm the judgment and sentence for some counts but reversed and remanded other counts based on the statute of limitations. One judge dissented. The case involved Hogan, who lived with his wife and her three daughters, all of whom had learning disabilities. Testimonies revealed that Hogan had sexually abused the girls multiple times over several years, starting when they were very young. The incidents included inappropriate touching and forced sexual acts. Hogan claimed that some charges should be dismissed because the statute of limitations had expired. The court agreed with him regarding several counts, concluding that the state did not press charges in time based on when the victims knew about the incidents and their nature as crimes. Hogan also argued that the trial judge unfairly imposed consecutive sentences rather than allowing them to run concurrently, as he claimed there was a courthouse policy against such decisions. However, the court found that the judge considered the facts of the case in deciding how to sentence Hogan. Ultimately, while some convictions against Hogan were reversed because of the statute of limitations, his life sentence and the convictions that were upheld reflected the seriousness of the abuse he inflicted on the young victims, leaving a lasting impact on their lives.

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F-2008-229

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In OCCA case No. F-2008-229, an individual appealed his conviction for several counts of child sexual abuse and related charges. In a published decision, the court decided to affirm most of the convictions but reversed one count. One judge dissented. The individual, Timothy Ray Belvin, faced multiple serious charges in a district court. The charges included child sexual abuse, procuring a child for pornography, and lewd acts with a child. During the trial, some charges were dropped, but he was found guilty on others. The judge sentenced him to life imprisonment on two counts and ten years on the rest, with the sentences being served at the same time. In his appeal, the individual raised several arguments. He claimed that some of his convictions should be overturned due to the statute of limitations, which limits the time for prosecuting a crime. He also argued that there wasn't enough evidence to prove certain charges and that he did not receive proper legal help during his trial. Furthermore, he believed the punishment was too severe. After reviewing everything, the court determined that the prosecution was allowed to pursue one of the charges because there was evidence that acts occurred within the time frame allowed by law. They also found enough evidence for the conviction on several counts. However, they agreed that one charge did not have enough proof, so they reversed that specific conviction. The court also concluded that the defense was effective and that the sentences were appropriate given the nature of the crimes and the circumstances. As a result, the court upheld most of the convictions and instructed the lower court to dismiss one charge.

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F-2005-232

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In OCCA case No. F-2005-232, Timothy Mark Dunivan appealed his conviction for sexually abusing a minor and child abuse. In an unpublished decision, the court decided to reverse the convictions for child abuse but affirmed the convictions for sexually abusing a minor. One judge dissented. To explain a little more, Timothy was found guilty of hurting and abusing his minor daughter in serious ways over several years. The case involved very serious charges, and a jury in Tulsa County agreed with the accusations against him. As a result, he was sentenced to many years in prison and also had to pay fines. Timothy argued that he should not have been charged because too much time had passed since the crimes occurred. He believed that the law didn't apply in his case due to what is called the statute of limitations. However, the court found that for the sexual abuse charges, the time limit to charge him was still valid, so those charges stuck. On the other hand, for the child abuse charges, they decided that quite a bit of time had passed, and so those charges were dropped. Throughout this process, there was a lot of discussion about the laws and how they applied to the case. The court also looked at the evidence provided during the trial and found that it was indeed acceptable to use some evidence from before the time period in which he was charged to show a pattern of behavior. In the end, while Timothy's very serious sentence for abusing his daughter stayed, he ended up having fewer charges against him after the appeal.

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F 2003-443

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In OCCA case No. F 2003-443, Kenneth Linn Walker appealed his conviction for multiple serious crimes, including thirteen counts of First Degree Rape and nine counts of Forcible Oral Sodomy, among others. In an unpublished decision, the court decided to affirm most of the convictions but reversed one count related to Sexual Exploitation of a Child. One judge dissented. Walker was found guilty after a jury trial held in Oklahoma County. The judge sentenced him to a total of 300 years in prison. Walker raised several arguments in his appeal. First, he claimed that the court did not have the power to charge him because some of the accusations were too old and past the legal time limits for prosecution. The court decided that most of the charges were filed on time, but the one charge related to Sexual Exploitation of a Child was not. Walker also argued that he did not have enough time to prepare a proper defense and that he was not given a fair trial because some evidence was kept from him. However, the court found that the requirements for the charges were clear enough that he could adequately prepare for his defense. Regarding the evidence presented, Walkers’ lawyers contended that the witness testimonies should not have been enough to convict him. Nonetheless, the court ruled that the testimonies were credible and strong enough to support the convictions. In summary, the court upheld the majority of Walker's convictions but found that one charge was incorrectly handled because the legal time limit had passed. As a result, they reversed that specific charge while keeping the rest of the convictions intact.

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