F-2018-814

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**IN THE COURT OF CRIMINAL APPEALS OF THE STATE OF OKLAHOMA** **Case No. F-2018-814** **MELINDA GAYLE HENRY,** Appellant, **v.** **THE STATE OF OKLAHOMA,** Appellee. --- **SUMMARY OPINION** **JOHN D. HADDEN, CLERK** **LUMPKIN, JUDGE:** Appellant, Melinda Gayle Henry, was convicted by jury of Embezzlement, in violation of 21 O.S.Supp.2012, § 1451, in the District Court of Nowata County Case Number CF-2016-71. The jury recommended a punishment of five years imprisonment and a fine of $10,000.00, which the trial court imposed. Appellant now appeals this judgment and sentence. **Propositions of Error:** 1. **Ineffective Assistance of Counsel:** Appellant contends trial counsel was ineffective for failing to secure necessary discovery. 2. **Failure to Request Continuance:** Appellant also asserts counsel was ineffective for not seeking a continuance for trial. 3. **Plain Error:** Lastly, Appellant claims the trial court committed plain error by proceeding to trial with unprepared counsel. **Analysis:** **Propositions One and Two (Ineffective Assistance of Counsel):** Under the Strickland v. Washington framework, Appellant must show (1) that counsel's performance was deficient and (2) that the deficiency prejudiced the defense. There is a strong presumption that counsel's conduct falls within a range of reasonable professional assistance. In Proposition One, Appellant argues that her counsel did not obtain critical records from the victim, The Woodshed convenience store, potentially impacting her defense. Counsel did request the records but believed they were destroyed. The trial court found that the State had offered access to the records, which the defense did not utilize. Appellant's assertion lacks evidence that obtaining these records would have changed the outcome of her trial; thus, this claim is speculative and fails to demonstrate prejudice. In Proposition Two, Appellant claims counsel was ineffective for not requesting a continuance due to the lack of records. However, the trial court's history with the case and previous findings suggested a request for a continuance would have been denied. Therefore, counsel would not be ineffective for abandoning a baseless motion. **Proposition Three (Plain Error):** Appellant's final claim of plain error regarding the trial being held without sufficient preparation fails under Rule 3.5(A)(5) of the Oklahoma Court of Criminal Appeals, which requires specific citations to the record. This assertion is superficial and unsubstantiated, leading to its waiver from appellate review. **Decision:** The judgment and sentence are **AFFIRMED**. **Mandate Ordered.** --- **APPEARANCES:** **AT TRIAL:** - **Mark Kane, Counsel for Appellant** - **Mike Hunter, Attorney General of Oklahoma; Kevin Buchanan, Assistant District Attorney for the State** **ON APPEAL:** - **Kevin D. Adams, Counsel for Appellant** - **Katherine R. Morelli, Assistant Attorney General for the State** **OPINION BY:** **LUMPKIN, J.** **LEWIS, P.J., KUEHN, V.P.J., HUDSON, J., ROWLAND, J.:** Concur in Result [Download Full Opinion PDF](https://opinions.wirthlawoffice.com/wp-content/uploads/F-2018-814_1735213396.pdf)

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F-2017-825

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In OCCA case No. F-2017-825, Ryan Paul Farr appealed his conviction for burglary in the second degree and possession of a firearm. In an unpublished decision, the court decided to affirm the convictions and sentences. There was one dissenting opinion. The case began when Farr was found guilty by a jury in Carter County. He faced two counts: one for burglary after having previous convictions, and another for having a firearm despite also having previous convictions. The jury decided that he should serve 25 years for the burglary and 15 years for the firearm possession, and the sentences were ordered to be served one after the other. Farr raised many complaints in his appeal, mentioning problems he believed occurred during the trial. He argued that the trial court made mistakes when it allowed the case to be reopened for more witness testimony and that he did not get a fair trial due to evidence of other crimes being presented. He also expressed concern about the prosecutor’s comments, which he thought made it seem like he was guilty before the jury could decide. The court looked closely at each of Farr's points. For the first complaint, the court said that letting the State present more witness testimony was a reasonable choice and didn’t hurt Farr's case. About the evidence of other crimes, the court noted that Farr didn’t object at the time these details were shared, which meant he couldn’t complain later. Farr also had issues with how his prior convictions were brought up during the trial, but the court found no major errors there either. When it came to the prosecutor’s behavior, the court decided that while the prosecutor made some points during arguments, they did not sway the trial's fairness. Farr's claims about not having enough evidence supporting his burglary and firearm possession were rejected since the court believed the evidence presented was sufficient to prove his guilt. Lastly, although Farr thought his sentences were too long, the court reminded him that sentences are usually left to the discretion of the judge unless they are extremely unfair, which in this case they weren’t. Because the court found no errors in the trial process, they confirmed the decision made in the lower court. In conclusion, the court affirmed the judgment and sentence against Farr, stating that all of his arguments were without merit.

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F-2017-444

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In OCCA case No. F-2017-444, Haskin appealed his conviction for child neglect and child sexual abuse. In an unpublished decision, the court decided to affirm his convictions and sentences. No one dissented. Haskin was found guilty of neglecting children and sexually abusing them. The jury gave him several long prison sentences, including ten years for each count of neglect and many decades for sexual abuse. The judge ordered these sentences to be served one after the other. Haskin raised seven main arguments against his conviction during his appeal. He claimed that the trial court made mistakes that affected his rights. For example, he said that evidence was unfairly used against him, and that the trial did not follow the rules properly. He argued that a police investigator should not have gone back to his property without a warrant, and that his rights were violated in other ways as well. However, the court found that the police acted reasonably and that Haskin's claims of error did not hold up because he did not provide enough details to support them. The court carefully reviewed everything and decided there was no need to change the outcome of the trial. They ruled that Haskin's conviction and the long sentences would stand. The decision means he will serve a considerable time in prison for his actions.

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F-2017-639

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In OCCA case No. F-2017-639, Christopher Lantz Wildman appealed his conviction for First Degree Manslaughter. In a published decision, the court decided that his conviction would be upheld. One judge dissented. Christopher Wildman was found guilty by a jury of killing someone and was sentenced to 12 years in prison. He was awarded credit for the time he served before the trial. Wildman argued several points in his appeal, claiming that his rights were violated during the trial. First, he said the evidence didn’t prove he wasn’t acting in self-defense, which is an important legal argument in these cases. He believed that if the evidence did not convince the jury beyond a reasonable doubt that he acted with wrongful intent, he should not have been convicted. However, the court found that there was enough evidence suggesting he did not act in self-defense. Wildman also claimed that his trial was unfair because some evidence showed bad character, and that the trial court did not properly instruct the jury on how to consider that evidence. The court reviewed this point and decided that the evidence presented was not overly prejudicial, so it allowed the trial to continue without a limiting instruction. He argued prosecutorial misconduct, which means he felt the prosecutor acted inappropriately during the trial. Wildman argued that remarks made by the prosecutor affected his right to a fair trial. The court noted that comments made by the prosecutor were not serious enough to change the outcome of the trial and were in response to claims made by Wildman. Wildman believed that his attorney did not perform well and that he should have had a better defense. The court examined this claim closely. It stated that for someone to prove their lawyer was ineffective, they need to show that their lawyer's performance was very poor and that it influenced the trial's outcome. The court found that Wildman's lawyer did not make serious mistakes. Additionally, he felt that some evidence about the victim’s habits was improperly allowed into the trial. However, since he did not object to this evidence during the trial, it made it harder for him to appeal this point later. Finally, Wildman argued that all these errors combined led to an unfair trial. The court did not find any significant errors, so they upheld the conviction. In conclusion, the court affirmed Wildman's conviction and sentence, stating that the original trial was fair and proper according to the evidence and legal standards.

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