F-2018-113

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In OCCA case No. F-2018-113, the appellant appealed her conviction for multiple counts of child neglect and enabling child sexual abuse. In an unpublished decision, the court decided to affirm the convictions and the sentences imposed. One judge dissented. The case involved Brenda Marie Huff, who was convicted by a jury of four counts of child neglect and one count of enabling child sexual abuse. The jury sentenced her to 25 years in prison for each count, which would be served at the same time. Brenda and her husband, co-defendant Andrew Huff, were accused of allowing their children to live in very poor conditions. Evidence showed the home was filthy, lacking running water, and filled with animal waste and sexual materials. The children were also exposed to troubling behavior, including sexual messages sent by Andrew to a young girl. Brenda was aware of this behavior but did not act to protect the child. Brenda raised several arguments in her appeal, including claims that the evidence against her was not enough to support the convictions, that there were problems with jury instructions, and that her sentence was too harsh. However, the court found that the evidence presented was sufficient for the jury to conclude that she was guilty beyond a reasonable doubt. The court also noted that there were no errors in how the jury was instructed, and that the severity of her sentence was justified given the circumstances. The court upheld the jury's decision, concluding that Brenda had neglected the children and enabled her husband to harm them. Ultimately, the court affirmed the judgment and sentence, meaning Brenda would serve her time in prison as decided by the jury.

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F-2004-410

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In OCCA case No. F-2004-410, Twyla Tanner appealed her conviction for Embezzlement by Bailee. In an unpublished decision, the court decided to affirm the conviction but modify the sentence from forty-five years to twenty years of imprisonment. One judge dissented regarding the sentence modification. Twyla Tanner was found guilty after a jury trial. The court had to decide on several issues raised by Tanner regarding her trial, including errors in denying her motion for a new trial, not allowing a witness to testify, the sufficiency of evidence, the length of her sentence, and whether all of these issues combined affected her right to a fair trial. The court determined that the trial judge made the right choices in handling these issues. They agreed that Tanner’s request for a new trial was not given because it was late. They also supported the judge's decision to prevent a witness from testifying because Tanner did not follow the rules for sharing her evidence in time. The court found enough evidence for the jury to decide she was guilty of stealing. However, they thought that the original sentence of forty-five years was very harsh for the crime and the situation. They changed it to twenty years in prison after considering the facts, including that she did not cause any damage and returned the vehicle she was accused of embezzling. One judge disagreed with reducing Tanner's sentence, believing that the jury's decision was justified based on her past criminal record and that the prosecution's comments during the trial did not unfairly influence the jury.

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