F-2018-358

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In OCCA case No. F-2018-358, Sean Daniel Simmons appealed his conviction for domestic abuse by strangulation. In an unpublished decision, the court decided to affirm his conviction. One judge dissented. Sean Daniel Simmons was found guilty by a jury for hurting his girlfriend on three occasions during a long argument at their apartment. The girlfriend's twelve-year-old son was in a nearby room sleeping at the time. The girlfriend testified that he choked her until she lost consciousness three times. Once, when he called 911, he slapped her when she tried to take the phone. After the incidents, she sought medical help and was diagnosed with a throat injury, although there were no visible marks on her throat, and she didn’t suffer any serious long-term effects. Simmons argued in his first claim that the evidence against him was not enough to support the conviction. The court reviewed the evidence and decided that it was reasonable for the jury to find him guilty beyond a reasonable doubt for domestic abuse by strangulation. In his second claim, Simmons believed the trial court should have explained what “great bodily harm” meant to the jury. He wanted a clear definition because he felt the term was too vague. However, the trial court used standard jury instructions that explained the elements of the crime, including how strangulation was defined. Ultimately, the court held that the trial court did not make a mistake when it refused to define “great bodily harm” more specifically. The decision to not elaborate on this term was appropriate, as the standard instructions already provided enough information to the jury for them to make an informed decision. The judgment was affirmed, and the judges agreed that the trial court acted correctly in these matters.

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M-2006-1334

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In OCCA case No. M-2006-1334, Michael David Williams appealed his conviction for misdemeanor Domestic Abuse. In a published decision, the court decided to affirm his conviction for one count but reversed the other, instructing that charge be dismissed. One member of the court dissented. Michael David Williams was charged with two counts of misdemeanor Domestic Abuse after incidents involving his wife. After a jury trial, he was found guilty and sentenced to one year in jail and a $1,000 fine for both counts, though one fine was not imposed. Williams claimed errors in the trial regarding witness statements, insufficient evidence for his conviction, and misconduct by the prosecution. During the trial, Williams' wife testified that no abuse had occurred and that injuries she had were due to a fight with her aunt and an accident. However, earlier police statements made by her during investigations indicated otherwise. Williams argued the trial court should not have allowed these statements without proper instruction on how the jury could use them. The court noted that it could allow witness statements to be used for impeachment purposes, even if the witness didn't fully recall making them. However, the court found that the jury might have been misled about how to use those statements in one of the cases, leading to confusion regarding the evidence of guilt. The court affirmed Williams' conviction for the first case, where there was a lot of strong evidence against him, including police testimony and photographs of the scene. However, for the second case, the court ruled that the evidence presented was not enough to prove guilt beyond a reasonable doubt. They decided to reverse this conviction and ordered it to be dismissed. In conclusion, the court upheld the conviction for the first incident but reversed the second due to insufficient evidence and errors in how the trial was conducted.

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