F-2014-939

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In OCCA case No. F-2014-939, Ryan Lee Nixon appealed his conviction for Manufacturing a Controlled Dangerous Substance and Possession of a Controlled Dangerous Substance. In a published decision, the court decided to uphold Nixon's conviction for Manufacturing but reversed his conviction for Possession. One judge dissented. Nixon was found guilty after a trial, where the jury determined he should serve fifteen years for Manufacturing and two years for Possession, alongside hefty fines. However, the judge suspended one of the fines and ordered the sentences to run together. Nixon's appeal included two main arguments. First, he argued that there wasn't enough evidence to show he possessed methamphetamine found in a bedroom. The court agreed with this argument. They explained that having drugs in a place doesn't mean the person had control over them unless there are other facts to prove possession. The court found there wasn't enough evidence to support the idea that Nixon had control over the drugs. Second, Nixon claimed the prosecutor made comments during closing arguments that were unfair. However, the court decided that these comments were acceptable and did not affect the trial's fairness since they were part of the argument about the evidence. In conclusion, while Nixon's conviction for Manufacturing was upheld, the court reversed his conviction for Possession and ordered that charge to be dismissed.

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F-2001-1529

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In OCCA case No. F-2001-1529, Daniel Kelly Orcutt appealed his conviction for Manslaughter in the First Degree. In a published decision, the court decided to reverse and remand the case for a new trial. One judge dissented. Here's a summary: Daniel Kelly Orcutt was found guilty of Manslaughter in the First Degree by a jury. The trial was held in Creek County, and the judge sentenced him to fifty years in prison and a $10,000 fine. Orcutt believed he had a fair trial, but he had several complaints about how things went during the trial. He argued that the trial court should not have allowed the jury to separate during their talks. He felt this decision was unfair and took away his rights to a fair trial because they could be influenced by outside information. He pointed out that he objected to this decision when it was made, but it still happened. Orcutt also complained that the prosecutor made comments about him not testifying, which he felt was wrong. He believed that he didn’t get all the information he needed from the state before the trial started, which made it difficult for him to defend himself. Furthermore, he felt the court restricted how he represented himself, even after allowing him to do so. The court agreed with Orcutt that these issues were important. They decided that these errors could lead to a different outcome if the trial were held again. Because of this, the judges in the OCCA decided that he would have a new trial so that he could have a fair chance to defend himself properly.

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F-2001-785

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In OCCA case No. F-2001-785, Sammy Dewain Haas appealed his conviction for Operating a Motor Vehicle While Under the Influence of Alcohol and Driving Under Suspension. In a published decision, the court decided to affirm his conviction. One judge dissented. Sammy Dewain Haas faced serious charges for driving while drunk and for driving when his license was suspended. He went to trial in Beckham County, where a jury found him guilty. The punishment was set at ten years in prison and a $10,000 fine for the drunk driving charge, and one year and a $500 fine for the driving under suspension charge. The sentences were to be served at the same time. Haas raised several issues on appeal. First, he pointed out that the prosecutor wrongly argued that the jury should think about what he might do in the future instead of what he did this time. The court did not think this was a serious mistake that required a new trial. Second, he claimed that the jury should have been told about a lesser charge called Driving While Impaired, but the court found that the evidence did not support that. Haas also said the judge should have given instructions about using circumstantial evidence, which is when a conclusion is drawn based on the surrounding facts instead of direct evidence. While the court agreed that the instructions should have been given, they ruled that this mistake didn't affect the overall outcome of the trial. Finally, the court ordered that the official record be changed to correctly state that Haas's sentences were to run together, not one after the other. In the end, the court upheld the trial’s decision, meaning Haas would remain convicted and serve his sentence as planned.

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