F-2012-732

  • Post author:
  • Post category:F

In OCCA case No. F-2012-732, Omar Sharrod Pollard appealed his conviction for Unlawful Distribution of a Controlled Dangerous Substance (crack cocaine). In an unpublished decision, the court decided to affirm Pollard's conviction but modified his sentence. One Justice dissented. Here’s a breakdown of what happened in this case: 1. **Background**: Pollard was tried by a jury and found guilty of selling crack cocaine. He had prior felony convictions, which were used to enhance his sentence. The jury decided on a punishment of forty years in prison. 2. **Issues on Appeal**: Pollard raised several points in his appeal: - He claimed that he did not receive a fair trial due to the admission of multiple felony convictions from the same event to enhance his sentence. - He alleged prosecutorial misconduct that he believed made his trial unfair. - He argued that he did not receive effective help from his lawyer during the sentencing phase. - He said that information about his previous suspended sentences should not have been shared with the jury during the trial. - He questioned whether there was enough evidence for his conviction. - He thought his sentence was too long. - He claimed the accumulation of errors in his trial prevented a fair process. 3. **Court's Findings**: The court reviewed Pollard's claims. They concluded that while he did not need to reverse the conviction, his sentence needed to be adjusted. The court acknowledged two specific errors concerning how the State presented Pollard's prior convictions and the details of his past sentences to the jury. 4. **Errors Identified**: - It was wrong for the jury to hear about Pollard’s multiple felony convictions from the same incident. The law states that for estimating punishment, the jury should only be aware of one conviction from a single event. - Additionally, disclosing that some of his previous sentences were suspended was inappropriate. This information could have biased the jury against him and influenced their decision on sentencing. 5. **Conclusion**: The court felt that these mistakes likely swayed the jury's decision on Pollard's punishment. Therefore, they decided to reduce Pollard's prison sentence from forty years to twenty-five years. The judgment of the district court was affirmed, but Pollard's sentence was modified to a lesser term of 25 years in prison.

Continue ReadingF-2012-732

F-2013-326

  • Post author:
  • Post category:F

In OCCA case No. F-2013-326, Maurice Cortez Washington, Jr. appealed his conviction for Possession of a Controlled Dangerous Substance, Driving a Motor Vehicle While Under the Influence of Alcohol, and Transporting an Open Container of Beer. In a published decision, the court decided to affirm Washington's conviction but modified his sentence to fifteen years imprisonment for the first count. One member dissented, arguing that the trial counsel's comments were a reasonable strategic decision.

Continue ReadingF-2013-326

F-2004-907

  • Post author:
  • Post category:F

In OCCA case No. F-2004-907, David Wayne Robbins appealed his conviction for the Manufacture of a Controlled Dangerous Substance, Possession of a Firearm After Former Felony Conviction, and Possession of Drug Paraphernalia. In a published decision, the court decided to affirm his convictions but modify his sentences to fifty years for each of the first two counts, which would be served one after the other. One member of the court dissented.

Continue ReadingF-2004-907

F-2002-1437

  • Post author:
  • Post category:F

In OCCA case No. F-2002-1437, Alonzo Gabriel Davison appealed his conviction for Lewd Molestation and Sexually Abusing a Minor Child. In an unpublished decision, the court decided to affirm his convictions but modify his sentences. One judge dissented. Davison was found guilty of two serious crimes related to child abuse and was sentenced to a total of 125 years in prison. However, the court agreed that some mistakes were made during the trial that affected how the case was handled. The main issues in the appeal included the fairness of the jury selection process, the admission of a videotape of a child’s testimony, and how the judge handled questions from the jury about sentencing. Davison argued that two jurors should not have been allowed to serve because they were biased and had strong feelings about child abuse, which could have impacted their decision. The court discussed how judges have discretion in deciding if a juror can be fair, but in this case, they felt that there were too many doubts about the impartiality of those jurors. Even though Davison's team challenged these jurors, they still ended up on the jury. However, because the defense did not follow all proper procedures to ensure their objections were raised correctly, the court ruled that Davison could not claim this issue harmed him in the end. Next, Davison argued that a videotape showing an interview with one of the child victims should not have been used in court. The court eventually agreed this was a mistake, but they decided it was a harmless error regarding his guilt—that is, it did not affect the jury's decision about whether he was guilty. However, the impact of such evidence on sentencing was considered more serious, leading the court to reduce each of his sentences to 45 years, which would run at the same time instead of one after the other. Regarding the jury's questions about parole and sentencing rules, the court concluded the trial judge was correct not to answer these questions, indicating that it was within the judge's discretion. Overall, while the court found some mistakes were made in how the trial was conducted, they decided that Davison's convictions were still valid, but he would serve a lighter sentence.

Continue ReadingF-2002-1437

F-2003-1145

  • Post author:
  • Post category:F

In OCCA case No. F-2003-1145, James Lee Wiggins appealed his conviction for Knowingly Concealing Stolen Property. In a published decision, the court decided to affirm the conviction but modified the sentence to eight years of imprisonment instead of ten. One judge dissented. Wiggins was found guilty by a jury and received a sentence of ten years for concealing stolen property after having prior felony convictions. He raised several issues in his appeal. He argued that evidence of his past crimes unfairly influenced the jury and that improper comments during his trial led to an inflated sentence. Additionally, he stated that his case should be sent back to change the judgment so he could receive credit for the time he had already served. Lastly, he claimed that all these errors together made his trial unfair. Upon reviewing the case, the court agreed that some errors occurred, particularly regarding how the prosecution questioned Wiggins about his past prison time. However, they believed that these mistakes did not change the verdict of guilty. They also confirmed that he should receive credit for the time served due to a clerical error in his judgment. In the end, Wiggins' conviction was maintained, but the court reduced his sentence and directed the trial court to correct the judgment to ensure he received credit for the time he served.

Continue ReadingF-2003-1145