F-2010-558

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In OCCA case No. F-2010-558, Torrez Ceasar appealed his conviction for Possession of Controlled Dangerous Substance (PCP) with Intent to Distribute. In an unpublished decision, the court decided to reverse the conviction and modify it to Possession of Controlled Dangerous Substance (PCP) alone, with a sentence of imprisonment for twenty years. One judge dissented. The case began when Ceasar was tried by a jury and found guilty of possessing PCP with the intent to distribute it. The trial took place in the District Court of Oklahoma County, where the judge sentenced him to a long prison term of twenty-five years. Ceasar challenged his conviction on several points. First, Ceasar argued that the evidence did not prove he was guilty beyond a reasonable doubt. He claimed the state failed to show that he actually possessed the PCP or that he intended to distribute it. The court examined whether a reasonable person could have found him guilty based on the evidence presented. They found enough evidence to support that he had thrown a bottle of PCP into a car, suggesting he had possession of it. However, the question of whether he intended to distribute it was more complex. The law stated that merely having a drug is not enough to show intent to distribute. The court compared Ceasar's situation with another case where the defendants had a large amount of marijuana but were not selling it. The court noted that without proof of other selling signs, such as packaging for sale or cash, it was not clear if Ceasar intended to distribute the drugs. The evidence related to Ceasar's intoxication seemed more consistent with personal use rather than distribution, leading to the decision to change his conviction to simple possession of PCP. Ceasar also raised concerns about the admission of evidence related to his alleged gang affiliation. The court concluded that while this type of evidence can be seen as unfairly prejudicial, in this case, it did not significantly impact the trial outcome. The reference to gang signs was deemed minor and not overly emphasized during the trial, so the decision to allow it was considered fair. Lastly, Ceasar argued that the trial judge erred by not allowing his jury to consider a lesser charge of public intoxication. However, the court determined that public intoxication was not a lesser included offense of drug possession with intent to distribute. The laws concerning these charges protected different public interests, so the judge was correct in denying this instruction to the jury. In summary, after reviewing all arguments and the evidence, the court found that Ceasar's original conviction for Possession of Controlled Dangerous Substance with Intent to Distribute was not supported by sufficient evidence of intent to distribute. Therefore, his conviction was changed to simply possessing the substance, and the sentence was adjusted to twenty years in prison. The dissenting opinion raised concerns about the majority interpretation of intent and evidence but ultimately, the revised conviction stood.

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F-2010-466

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In OCCA case No. F-2010-466, William Michael DeMoss appealed his conviction for three Counts of Shooting with Intent to Kill and one Count of Assault with a Dangerous Weapon. In an unpublished decision, the court decided to affirm the convictions but vacated the fines associated with each count. One judge dissented. William Michael DeMoss was found guilty of serious crimes, including trying to kill people and attacking someone with a weapon. The jury decided he should go to prison for a long time and also pay money as fines. DeMoss didn’t think the trial was fair and said there were many mistakes made. He argued that there wasn't enough proof to find him guilty, that he couldn’t hear well during the trial, and that he should have had help from experts to prove he had problems. The court looked closely at what DeMoss said and also reviewed all the evidence. They decided that there was enough proof to show that DeMoss did commit the crimes. The court didn’t think his defense attorney did anything wrong to hurt DeMoss's case and that the decisions made during the trial were fair. They also found out that even though there were some mistakes, such as telling the jury they had to give fines when they really didn’t have to, it didn’t change the outcome of the trial. In the end, they agreed with the jury’s decision but took away the fines because it wasn’t right for the jury to have to give them. This means he still has to serve a long prison sentence, but he won't have to pay those extra fines. The court decided that everything else about the trial was okay, and DeMoss's appeal was mostly denied.

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F-2009-177

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In OCCA case No. F-2009-177, Jesse James Stout appealed his conviction for sexual abuse of a child and exhibition of obscene materials to a minor child. In an unpublished decision, the court decided to affirm some convictions and reverse others. One judge dissented. Jesse James Stout was found guilty by a jury of eight counts of sexual abuse of a child and three counts of exhibiting obscene materials to a minor. He received a total sentence of many years in prison for these convictions. The sentences for some counts were served one after another, which is called consecutive sentencing. Stout raised several points in his appeal. First, he claimed that the trial court should have let him stop talking to the police when he asked for a lawyer. However, the court determined that his request was not clear enough, and since he had not been charged with the crimes at that time, his rights had not been violated. Second, he argued that having eight counts of sexual abuse was wrong when it should have been fewer counts. But the court found that the State had clearly explained all the charges, and the jury was told to look at each claim separately. Third, Stout contended that the trial court made a mistake by changing the charges at the end of the trial. The court allowed the State to change the information for the three counts of showing obscene materials. The trial court said this change would not hurt Stout's defense because the new charge carried a lesser sentence. However, the court found that this amendment was unfair and hurt Stout’s ability to defend himself properly because it changed the nature of what he was being charged with. As a result of these findings, the court affirmed the convictions related to the eight counts of sexual abuse, but reversed the convictions for the three counts of exhibiting obscene materials and ordered a new trial for those counts. Some judges agreed with the decisions while one judge disagreed with the reversal of the three counts.

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