F-2018-411

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In OCCA case No. F-2018-411, Joey Elijo Adames appealed his conviction for Conspiracy to Distribute a Controlled Dangerous Substance and Unlawful Possession of a Firearm by a Convicted Felon. In a published decision, the court decided to uphold his convictions and the order revoking his suspended sentences. One judge dissented. The case began when Adames was charged with several serious offenses. After a trial, a jury found him guilty, and he was sentenced to a total of 45 years in prison. This included 35 years for the conspiracy charge and 10 years for the gun possession charge, and the sentences were ordered to be served one after the other. Adames had previous felony convictions, which affected his sentences. Furthermore, Adames had prior suspended sentences due to earlier charges, including Domestic Assault and Battery with a Dangerous Weapon. The state decided to revoke those suspended sentences after Adames committed the new crimes. During the trial, Adames argued that the prosecutor acted unfairly by making comments that hinted he should have testified, which he did not. He believed this made it hard for him to get a fair trial. However, the court examined Adames' claims. They found that the prosecutor’s comments did not directly force attention to the fact he did not testify and were within the acceptable limits of court arguments. The judges believed the jury was properly instructed to not hold his silence against him, and thus they did not see an error in the trial process. Adames also complained about the sentencing part of the trial, saying the prosecutor made remarks that were inappropriate and could have influenced the jury to give him a harsher sentence. Again, the court found that the comments focused more on his past behavior and did not unfairly sway the jury’s decision. Lastly, about the revocation of Adames' previous suspended sentences, he argued that he should have had a hearing within 20 days after pleading not guilty to the revocation. The court reviewed the record and concluded that Adames had waived his right to that fast hearing when he entered his plea of not guilty. Therefore, the court ruled that since no rule was broken, the revocation of his suspended sentence was valid. In summary, the court found no significant errors in Adames' trial or the revocation order. As a result, his convictions and the revocation of his suspended sentences were upheld, affirming the decisions made by the lower court.

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F-2017-1099

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In OCCA case No. F-2017-1099, Willie Donnell Jackson appealed his conviction for Rape in the First Degree-Victim Unconscious. In an unpublished decision, the court decided to affirm Jackson's conviction and sentence. One judge dissented. Willie Donnell Jackson was found guilty by a jury for a serious crime involving a victim who was unconscious. The jury suggested that he spend life in prison without the chance to get out, but the trial judge decided to give him a chance for parole after a long time instead. Jackson didn't agree with this decision and said there were errors made during the trial that affected his rights. Jackson raised five main arguments on appeal. First, he said that the prosecutor acted improperly during the trial, which made it unfair. He claimed this had a cumulative effect and harmed his chance for a fair trial. Second, he thought the judge didn't give the jury the right instructions, which was another error. The third point was about his lawyers not helping him enough, meaning that he didn't get the proper support he needed during the trial. Fourth, Jackson believed that the prosecutor's actions led to a sentence that was too harsh compared to what happened. Finally, his last argument was that all the mistakes added up to deny him a fair trial and the legal protections he should have received. After looking at everything presented during the appeal, the judges decided there were no significant errors that would change the outcome of the trial. They did not agree with Jackson's claims, concluding that his trial was fair. As a result, they upheld the original decision and affirmed his sentence, meaning Jackson must serve a long time in prison. The judges, in concise language, rejected all of Jackson's claims, confirming that he did not prove that any errors affected the fairness of his trial or the severity of his sentence, leading to the final ruling.

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F-2018-391

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In OCCA case No. F-2018-391, Zachary Troy King appealed his conviction for Child Abuse by Injury. In an unpublished decision, the court decided to affirm the conviction and sentence. One judge dissented. Zachary Troy King was found guilty by a jury in a case where he was accused of injuring a child. The jury decided that he had caused harm to the child, and he was sentenced to twenty years in prison, with the first fifteen years needing to be served. King argued four main points in his appeal. First, King said that the evidence presented in his trial was not strong enough to prove he committed child abuse. He claimed that the injuries to the child were not clearly caused by him, and he thought the jury should not have convicted him. However, the court believed that there was enough evidence for any reasonable person to conclude that King did injure the child. Second, King claimed that the judge made a mistake by not allowing a mistrial after the prosecution introduced certain evidence. He argued that this evidence was not important or added to the case in a meaningful way. Yet, the court felt that the testimony included by the prosecution was relevant to proving injuries were intentionally inflicted rather than accidental. Third, King accused the prosecutor of acting unfairly during the trial, which made it hard for him to get a fair trial. The court reviewed the prosecutors' actions and felt there were no significant errors that would have impacted the trial's fairness. Lastly, King argued that the collection of mistakes in his trial added up to take away his right to a fair hearing. But, since the court did not find any errors that would require a reversal of the conviction, the claim was also denied. In conclusion, the court upheld the jury's decision and the trial judge's actions, stating that King received a fair trial and that there was enough evidence to support the conviction. The judgment from the trial court was confirmed, and King will continue to serve his sentence.

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F-2018-158

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In OCCA case No. F-2018-158, Nathan Simmons appealed his conviction for accessory to first degree murder and robbery with a dangerous weapon. In a published decision, the court decided to affirm the judgment and sentence. One judge dissented. Nathan Simmons was found guilty after a jury trial held in Tulsa County. He was charged with being an accessory to first degree murder, which means he helped someone commit that crime, and for robbery with a dangerous weapon, which means he was involved in taking something with a weapon. The jury gave him a tough sentence: 36 years for being an accessory, 10 years for the first robbery, and 17 years for the second robbery. All the sentences were to be served one after the other. Simmons had two main arguments for his appeal. First, he said that the prosecutor made a mistake during the closing argument that took away his chance for a fair trial. He believed the prosecutor suggested that he would not serve the full amount of time for his first conviction and this made the jury decide to give him longer sentences. However, the court found that there was no significant error in what the prosecutor said during the trial that would change the outcome. Second, Simmons claimed that his lawyer did not do a good job because they did not object to what the prosecutor said. The court reviewed this claim carefully. Using a standard that looks at whether the lawyer's actions were truly wrong and if they affected the trial’s outcome, the court decided that Simmons did not have a strong case. Ultimately, the court kept the original sentence and decision made by the jury.

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F-2018-531

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In OCCA case No. F-2018-531, Joseph Green Stoker appealed his conviction for Rape by Instrumentation (Count 1) and Lewd Molestation (Count 2). In a published decision, the court decided to affirm the Judgment and Sentence of the district court, meaning Stoker would serve ten years on each count, with the sentences served one after the other. One judge dissented. Stoker argued that he was not allowed to present a proper defense because his witnesses were not allowed to testify. The court found that the trial judge was correct in excluding the evidence because Stoker did not follow the proper legal steps to get those witnesses into the trial. Stoker also claimed that the prosecutor acted unfairly, which made it hard for him to have a fair trial. The court looked at previous cases and decided that what the prosecutor did was not harmful enough to change the outcome of Stoker's trial. Another point made by Stoker was that his lawyer did not do a good job defending him. However, the court said Stoker could not prove that this lack of help from his lawyer actually affected the outcome of the trial. Finally, Stoker complained that the trial court wrongly ordered him to pay some costs while he was still in prison. The court explained that there are laws that allow part of an inmate's earnings in prison to be used for paying court fees, so they found no error in the judge's decision. Overall, the court did not find any mistakes significant enough to affect Stoker's conviction or sentencing, so they upheld the original decision.

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F-2017-68

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This text appears to be a legal opinion from the Court of Criminal Appeals of the State of Oklahoma regarding the case of Jonathan D. McKee, who was convicted of Child Abuse. The judgment affirms the conviction and address various propositions raised by the appellant concerning the conviction and the trial process. The summary of the opinion includes analysis of the following propositions: 1. **Sufficiency of Evidence**: The court concluded that there was sufficient evidence for a rational juror to convict McKee of child abuse based on medical expert testimony. 2. **Evidentiary Rulings**: The court reviewed multiple evidentiary rulings that McKee argued were erroneous. They concluded that while McKee's refusal to speak with authorities could raise Fifth Amendment concerns, it did not constitute plain error affecting the trial’s outcome. Additionally, evidence concerning drug paraphernalia was found relevant to the case. 3. **Judicial Bias**: Appellant’s claim of judicial bias was rejected as the court found no evidence of actual bias or any violations affecting due process. 4. **Cumulative Error**: The court stated that because none of the individual propositions were sustained, the cumulative error argument had no merit. The opinion also includes concurring opinions from Judges Kuehn and Rowland. Judge Kuehn expressed some reservations about the relevance of mentions of a request for legal counsel, while Judge Rowland emphasized that McKee's conduct and refusal to speak were relevant in assessing guilty knowledge, even though they did not implicate any constitutional violations. The final decision affirmed the judgment and sentence, with the court ordering the mandate issued upon delivery and filing of this decision. For further details, one may refer to the full opinion [here](https://opinions.wirthlawoffice.com/wp-content/uploads/F-2017-68_1734271673.pdf).

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F-2018-547

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**Oklahoma Court of Criminal Appeals Summary Opinion: Carlos Antonio King v. State of Oklahoma** **Case No.:** F-2018-547 **Filed:** May 30, 2019 **Judges:** LUMPKIN, P.J., LEWIS, P.J., KUEHN, V.P.J., HUDSON, J., ROWLAND, J. **Facts of the Case:** Carlos Antonio King was convicted by a jury for Unlawful Possession of a Controlled Drug with Intent to Distribute (Methamphetamine and Marijuana) and Unlawful Possession of a Firearm After a Prior Felony Conviction in the District Court of Choctaw County. The jury sentenced him to 20 years each for the drug counts (concurrent) and 1 year in jail for the firearm count (consecutive). **Propositions of Error:** 1. Admission of other crimes evidence violated King's right to a fair trial. 2. Admission of evidence related to an alleged December 2015 buy and an existing arrest warrant violated his fair trial rights. 3. Evidence from an April 15 vehicle search should have been suppressed due to a violation of his Fourth Amendment rights. 4. Prosecutorial misconduct due to the premature publication of unadmitted photographs. 5. Cumulative errors denied him a fair trial. 6. Insufficient evidence to convict him for Possession with Intent to Distribute. **Court's Analysis and Decision:** 1. **Proposition One:** The court upheld the trial court’s decision to admit evidence of other crimes, determining it was relevant to prove knowledge and intent, affirming that it did not substantially outweigh its prejudicial effect. 2. **Proposition Two:** King’s argument regarding the December 2015 buy and arrest warrant was found forfeited due to lack of supporting argument or authority, hence denied. 3. **Proposition Three:** The court found that the search warrant adequately described the areas to be searched. The vehicle, parked on the premises described in the warrant, did not require an additional search warrant. No plain error was identified. 4. **Proposition Four:** While it was noted that the prosecutor used photographs in opening statements that hadn’t yet been admitted into evidence, this was not found to affect King's substantial rights, especially since the photographs were ultimately admitted without objection. 5. **Proposition Five:** The court denied the cumulative error claim, stating that no errors were identified during the trial. 6. **Proposition Six:** The court used the Jackson v. Virginia standard for evaluating the sufficiency of evidence, affirming that sufficient evidence existed that could lead a rational jury to conclude King's guilt beyond a reasonable doubt. **Conclusion:** The Oklahoma Court of Criminal Appeals affirmed the judgment and sentence of the District Court, finding no reversible errors in the trial proceedings. **Opinion by:** LUMPKIN, P.J. **Concurred by:** LEWIS, P.J.; KUEHN, V.P.J.; HUDSON, J.; ROWLAND, J. [Click Here To Download PDF](https://opinions.wirthlawoffice.com/wp-content/uploads/F-2018-547_1735318084.pdf)

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F-2018-384

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In OCCA case No. F-2018-384, Jimmy Dean Coke, Jr. appealed his conviction for Knowingly Concealing Stolen Property and Obstructing an Officer. In an unpublished decision, the court decided to affirm the Judgment and Sentence of the district court. One judge dissented. Jimmy Dean Coke, Jr. was convicted of two crimes. The first was knowing concealment of stolen property, and the second was obstructing an officer. The court sentenced him to twenty-five years for the first charge and one year for the second, and he also had to pay fines. Coke argued that the proof against him was not strong enough. He believed there was not enough evidence to convict him beyond a reasonable doubt for either charge. However, the court reviewed the evidence in a way that favored the state. This meant they looked for any reasonable way a jury could have found him guilty. They decided there was enough evidence to support both convictions. Coke also claimed the trial court didn’t tell the jury about the value of the stolen property, which he thought was a mistake. For a charge of concealing stolen property to be a felony, the property must be worth $1,000 or more. Although the judge did not instruct the jury about this value, they still found that the property was worth $1,500 based on testimony, so the court determined that the omission was harmless. Coke left the courthouse during the jury's deliberation. The jury reached a verdict, and he was not there. Coke argued that he had the right to be present during this critical time. The court decided that because Coke chose to leave, he waived his right to be there, and the judge acted correctly by continuing without him. Coke believed that the prosecutor’s arguments were unfair and made it hard for him to have a fair trial. They reviewed the claims of misconduct and found that some were not objected to during the trial; therefore, they could only check for obvious errors. The court found minimal misconduct and did not feel it affected his trial's fairness. He also felt that he was not treated fairly by the judge. However, the court believed the evidence did not show that the judge was biased against him. The decisions made during the trial were consistent with legal practices. Coke said the judge gave him fines even though the jury did not decide on fines. The court agreed that the judge could impose fines even if the jury did not because the law allows it. Coke claimed that his lawyer did not do a good job and that this hurt his chance for a fair trial. The court found that since there were no significant mistakes made, the claims for ineffective counsel did not hold. Coke lastly argued that even if no single mistake was significant enough to reverse the decision, the total of all mistakes could warrant a new trial. The court decided that since they did not find any errors, this claim was also denied. In conclusion, the court affirmed the original decision, meaning Coke would remain convicted and serve his sentences as decided by the original trial.

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F-2018-56

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In OCCA case No. F-2018-56, Garry Wayne Wilson appealed his conviction for First Degree Murder and Possession of a Firearm While Under Supervision of the Department of Corrections. In a published decision, the court decided to affirm the conviction and sentence. No one dissented. Garry Wayne Wilson was found guilty by a jury in Tulsa County. He faced two charges: killing someone and having a gun when he wasn’t supposed to. The jury decided he should spend his life in prison for the murder and ten years for the gun charge, with both sentences running one after the other. Wilson raised several problems about his trial that he believed made it unfair. He thought the court made mistakes, such as changing the charges against him in a way that hurt his defense, not telling the jury the right instructions, allowing too many pictures of the victim that were too much to see, and that the prosecutor did things wrong during the trial. He also believed his lawyer didn’t help him enough. The court looked closely at Wilson’s complaints. First, they found that the change in the charges was allowed because it didn’t really change what he was being accused of. It was fair to change it based on the evidence that came out during the trial. Next, regarding jury instructions, the judges said they were given correctly. Even though Wilson claimed he should have received specific instructions about being angry, the judges said that because Wilson denied shooting the victim, he didn’t qualify for those instructions. Also, the jury did get to hear about similar lesser charges, which gave them options. About the photos shown in court, the judges found they were important for showing what happened to the victim. Even if there were many pictures, they all served a purpose and were not too repetitive. Regarding the claims of the prosecutor acting inappropriately, the court said that, despite Wilson's worries, the issues did not make the trial unfair. The judges assessed all the prosecutor's actions as a whole to decide if they were serious problems. They concluded that they were not. Wilson also said his lawyer didn’t do a good job. However, the judges commented that legal representatives have a wide range of actions they can take, and it’s not easy to prove they didn’t do their job well. They didn’t find any significant mistakes made by the lawyer that harmed Wilson’s case. Lastly, Wilson argued that all these issues combined made his trial unfair. The judges disagreed and said that since they found none of his claims were valid, there were no combined errors that would change the outcome either. In summary, the court affirmed Wilson's conviction and sentence. They found no significant errors that would merit a new trial or a change in his punishment. The case concluded with the jury's decision being upheld.

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F-2017-1031

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In OCCA case No. F-2017-1031, a person appealed his conviction for first-degree murder. In an unpublished decision, the court decided to affirm the conviction. One member of the court dissented. Dakota Joe Spainhower was found guilty of first-degree murder for killing his friend, who was a juvenile. The incident occurred after their shift at a local restaurant in July 2016. After receiving a ride home from the victim, Spainhower's mother noticed something strange outside and found a body next to a car, which belonged to the victim. Initially, Spainhower told his mother that the victim had tried to rob him and stabbed him first, prompting him to fight back and stab the victim multiple times. Evidence showed that Spainhower had blood on him and took the victim's keys after the incident. Spainhower's confession to the police was a crucial part of the trial. The court had to determine if this confession was made voluntarily and if he understood his rights when he waived them. There were questions regarding his mental health, education level, and the long duration of his questioning by police, all of which were argued to undermine the validity of his confession. However, the court found sufficient evidence that his confession was voluntary. The court also evaluated whether the evidence presented during the trial was enough to support the murder conviction. They determined that the evidence, including the victim's numerous injuries, was compelling enough for a rational jury to conclude beyond a reasonable doubt that Spainhower was guilty of intent to kill. Spainhower raised concerns about prosecutorial misconduct, claiming that the prosecutor made improper statements during closing arguments. The court assessed these claims and found that any mistakes did not significantly affect the outcome of the trial. Additionally, Spainhower argued that he received ineffective assistance from his counsel. However, the court determined that his counsel acted adequately throughout the trial. Finally, Spainhower claimed that the combination of all the errors he identified deprived him of a fair trial. The court concluded that since no individual errors were found that warranted relief, the cumulative effect of claims also did not provide grounds for a new trial. Thus, the court affirmed the judgment and sentence against Spainhower, maintaining his conviction for first-degree murder with no opportunity for parole.

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F-2017-1029

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In OCCA case No. F-2017-1029, Timothy Brian Bussell appealed his conviction for Rape in the First Degree - Victim Unconscious. In an unpublished decision, the court decided to affirm the judgment and sentence against him. One judge dissented. Bussell was found guilty by a jury and was sentenced to life imprisonment with the possibility of parole, even though the jury recommended life without parole. The case involved Bussell and a co-defendant, who filmed another co-defendant having sex with an unconscious victim. The jury believed there was enough evidence to show Bussell helped and encouraged the assault. Bussell raised ten arguments in his appeal, claiming errors during his trial. He argued that he did not get proper notice of the charges against him, that there was not enough evidence to convict him, and that the trial should have separated him from his co-defendant. He also claimed the victim's testimony was not credible, the prosecution made unfair statements, and that his lawyer did not do a good job. The court reviewed the evidence and found it sufficient for a conviction. They determined there were no significant errors that would affect his rights. The court emphasized that someone's testimony alone could support a conviction, especially if it was backed by video evidence. They concluded that Bussell knew the accusations he was facing and did not show that he was prejudiced by any mistakes made during the trial. Ultimately, the court decided that Bussell's claims did not show any grounds for reversing his conviction. His serious involvement in the crime was evident. The sentence was upheld as appropriate based on the crime he committed, emphasizing the importance of the victim's mistreatment.

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F-2017-892

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In OCCA case No. F-2017-892, David Lee Seely appealed his conviction for Murder in the First Degree. In an unpublished decision, the court decided to affirm the judgment and sentence. One judge dissented. David Seely was found guilty of murdering Jackie Tyler Wesnidge during a fight that escalated in a car. Seely and Misty Dawn Benefield had left the house they were staying in after an argument between Wesnidge and Benefield. Seely, who had previously expressed strong feelings for Benefield, ended up stabbing Wesnidge seventeen times after a confrontation in the car. After the murder, Seely and Benefield crashed the car and tried to escape on foot. They were eventually found by the police. Seely claimed several errors during his trial, including the trial court's failure to instruct the jury on certain defenses, the exclusion of evidence he wanted to present, the admission of graphic photographs, and issues of prosecutorial misconduct. He also argued that he received ineffective assistance of counsel. The court reviewed Seely's arguments and found that the trial court did not err in failing to instruct the jury on defenses like defense of another or voluntary intoxication, as there was no sufficient evidence to support those claims. It also determined that the evidence excluded by the court was not necessary for understanding the case, and that the photographs admitted were relevant to the crime. Prosecutorial misconduct claims were examined, yet the court concluded these did not significantly harm Seely's right to a fair trial. Finally, it ruled that his counsel performed adequately, and there were no grounds for claiming he received ineffective representation. The court affirmed Seely's conviction, finding all claims of error were without merit.

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F-2018-418

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In OCCA case No. F-2018-418, Ebrima Tamba appealed his conviction for trafficking in illegal drugs. In an unpublished decision, the court decided to affirm the Judgment and Sentence of the district court. One judge dissented. Ebrima Tamba was sentenced to twenty years in prison for his involvement in trafficking illegal drugs, specifically marijuana. Tamba felt that this sentence was too harsh. He argued that it was unfair because it was longer than the minimum penalty for the crime and that he had less marijuana than what the law required for a more serious charge. He also mentioned that since his arrest, the laws in Oklahoma changed, allowing people with a medical marijuana license to use marijuana legally. However, the court explained that even if laws changed after Tamba's crime, the new laws did not apply to his case. They noted that he was given a sentence that followed the laws in place when he committed the crime, and his sentence was within the legal limits. Tamba also claimed that his lawyer did not help him properly during the trial. He believed his attorney should have challenged how police stopped him and questioned whether the evidence used against him was acceptable. However, the court found that Tamba did not prove that his lawyer's actions negatively affected the outcome of his trial. In conclusion, the court decided that Tamba's twenty-year sentence was appropriate and that his lawyer provided adequate help during his trial. Therefore, his appeal did not lead to any changes in his case.

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F-2018-339

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In OCCA case No. F-2018-339, Gary Julian Gallardo, Jr., appealed his conviction for Trafficking in Illegal Drugs (Methamphetamine) and Conspiracy to Commit Trafficking. In an unpublished decision, the court decided to affirm the judgment and sentence. One member of the court dissented. Gary Gallardo was found guilty of two serious crimes related to drugs. This happened in Jackson County. The jury decided to give him a very long sentence of 40 years in prison for each crime, and these sentences would happen one after the other. When Gallardo appealed, he pointed out a few reasons he believed he should not have been convicted. First, he claimed that the court did not have the right to try him in Jackson County because he believed the crime happened somewhere else. However, the court explained that the issue was actually about where the trial should be held, not whether the court had the power to judge the case. Next, Gallardo said there wasn't enough evidence to prove he was involved in the drug trafficking. The court disagreed after looking at all the evidence and decided that it was enough to show he was part of the crime, even though he was in prison at the time. Gallardo also thought that his trial wasn’t fair because the jury heard about other bad things he had done. The court said this evidence was important to understand his ability to carry out the crime in question. He raised concerns about the way the prosecutors behaved in court, but the court found that their actions did not make the trial unfair or wrong. Gallardo argued that the long sentences he received were too harsh but the court affirmed that his punishments were right given his previous criminal record. Lastly, Gallardo claimed that all the errors during the trial together made it unfair. The court stated that because they didn’t find any actual errors in the trial, there was no unfairness. In summary, the court upheld Gallardo's conviction and sentence, stating there was sufficient evidence, no unfair trial conditions, and that the sentences were appropriate based on his prior convictions.

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F-2018-103

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In OCCA case No. F-2018-103, the appellant appealed his conviction for manslaughter in the first degree, heat of passion. In an unpublished decision, the court decided to affirm the conviction. One judge dissented. David Wayne Ellis was charged with first degree murder, but the jury found him guilty of the lesser charge of manslaughter in the first degree. This happened after a trial in which the jury decided on a sentence of life imprisonment. The judge took into account the time Ellis had already served in jail. Ellis raised several issues in his appeal: 1. He argued that the State did not prove beyond a reasonable doubt that he was not acting in self-defense when he stabbed the victim. The court looked at the evidence and decided that the jury had enough information to find that Ellis was not acting in self-defense. The court noted that Ellis had confronted the victim with a knife and had made threats, showing he was the aggressor. 2. Ellis claimed that the prosecutor made a mistake by calling the decedent's death a murder during the trial. He believed this was wrong because it was up to the jury to decide on the nature of the death. However, the court found that since the jury had been instructed correctly and had not convicted him of murder but rather manslaughter, this was not a mistake that would affect the trial's fairness. 3. Ellis argued that he did not receive effective legal help during the trial. The court considered this argument but found that his lawyer’s performance did not fall below what is acceptable. Moreover, since there was no error established in the previous points of appeal, this claim also failed. 4. Finally, he objected to the admission of a photograph of the decedent that he felt was unfairly prejudicial. The court determined that the photo was allowed under the law because it provided context about the victim and was relevant to the trial. They did not find any error in allowing it. Overall, the court affirmed the conviction and determined that there were no significant mistakes made during the trial that would change the outcome.

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F-2017-1247

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In OCCA case No. F-2017-1247, Michael Wesley Watters appealed his conviction for Child Abuse by Injury and Misdemeanor Domestic Assault and Battery in the Presence of a Minor. In an unpublished decision, the court decided to affirm the district court's order to accelerate Watters' deferred judgment and sentencing. There was one dissenting opinion. Watters had entered a plea of no contest for his charges and was given a deferred judgment. This meant that if he followed the rules for a certain period, he would not have to serve time. However, the state claimed that he violated the terms of his deferred sentence, which led to this appeal. The court examined various issues presented by Watters regarding his case, including whether there was enough evidence for his probation violation, if the judge used proper evidence to make decisions, and if he received fair representation from his lawyer. The court found that the state's evidence, which included testimony from Watters' former spouse, was sufficient to show that he had violated a protective order. It also decided that while some issues regarding how jail costs were calculated were raised, these issues were moot because earlier court rulings had already addressed them. Watters argued that he did not get a fair hearing because of the prosecutor's behavior and that his lawyer did not do a good job representing him. However, the court felt that any mistakes made by his lawyer did not affect the outcome of the case significantly. Watters claimed his sentence was too harsh, but the court explained that questions about the length of a sentence in this situation need to be addressed in a different kind of appeal, not this one. Ultimately, the court found no significant errors in the proceedings and affirmed the decision to accelerate Watters' sentencing, meaning he was required to serve his time in prison.

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F-2017-1098

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In OCCA case No. F-2017-1098, Rodger Dale Stevens appealed his conviction for performing a lewd act in the presence of a minor. In an unpublished decision, the court decided to affirm Stevens' conviction and sentence. One judge dissented. Stevens was found guilty of a serious crime because he masturbated in front of a seven-year-old boy. The court looked closely at the evidence to see if it proved Stevens was doing this for sexual gratification. The victim testified and provided strong evidence that Stevens derived satisfaction from what he did. Even though Stevens argued that he was just trying to help the boy feel comfortable with his body, the jury did not believe him. Stevens also argued that his punishment was too harsh. Since he had previous felony convictions, his sentence was enhanced under a specific law that allows for harsher penalties for repeat offenders. Stevens said the law was applied wrongly and that he should have received a lighter sentence, but the court found that the jury was correctly instructed on the range of punishment. He raised several other issues, including claims that irrelevant and prejudicial evidence was admitted, and that his lawyer did not defend him properly. However, the court upheld that the lawyer's actions did not negatively impact the trial's outcome. Stevens argued that the life sentence he received was excessive, even claiming the situation was not severe enough for such a strong punishment. The court disagreed, noting the nature and seriousness of the crime and confirming that the sentence was within legal limits and did not shock the conscience. In summary, the court affirmed the conviction and sentence, ruling that the evidence supported the jury's decision and that the legal procedures followed were appropriate.

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M-2018-212

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**COURT OF CRIMINAL APPEALS OF THE STATE OF OKLAHOMA** **Rodney Eugene Smith, Appellant,** **v.** **The State of Oklahoma, Appellee.** **Case No. M-2018-212** **Filed May 9, 2019** **Summary Opinion** **Presiding Judge: Lewis** **Judgment and Sentence Affirmed** **Facts:** Rodney Eugene Smith appeals his conviction for Domestic Assault and Battery, a misdemeanor. The incident occurred on May 29, 2017, when Alexis Perkins alleged that Smith struck her. Witness Bridgett Downum testified to witnessing Smith slap Perkins during a heated argument at Downum's residence. The jury convicted Smith, resulting in a one-year county jail sentence and a $5,000.00 fine. **Propositions of Error:** 1. **Insufficient Evidence of Dating Relationship:** Smith argues that the State failed to prove he was in a dating relationship with Perkins. The court found Perkins' testimony about their living and sexual relationship sufficient for a jury to reasonably conclude a dating relationship existed. 2. **Intent to Injury:** Smith contends the State did not prove he acted with intent to injure. The court found that his actions during the confrontation demonstrated sufficient intent to do harm, as viewed in light most favorable to the State. 3. **Failure to Instruct on Lesser Included Offense:** The court found no error in failing to instruct on simple assault and battery because the evidence supported the charge of domestic assault and battery. Smith's claims about the dating relationship were rejected. 4. **Self-Defense Instruction Denied:** The trial court did not abuse its discretion in refusing Smith's self-defense instructions, as the evidence did not support his claim of self-defense. 5. **Jury Instructions on Specific Crime:** Smith's claim that the jury instructions were improper was denied as he did not object at trial, and the instructions sufficiently defined the offense. 6. **Insufficient Information:** The court ruled the Information provided adequate notice to Smith regarding the charges against him, as it included essential details about the crime. 7. **Cumulative Prosecutorial Misconduct:** Smith's claims of prosecutorial misconduct were rejected as the comments did not fundamentally undermine his trial's fairness. 8. **Improper Lay Opinion Testimony:** Downum's opinion testimony was not objected to at trial and, assuming it was improper, did not constitute plain error. 9. **Ineffective Assistance of Counsel:** Smith's trial counsel's performance did not result in prejudice, and he failed to show how the outcome would have differed had the objections been raised. 10. **Cumulative Errors:** The cumulative nature of alleged errors did not affect the trial outcome, and therefore, no relief is warranted. **Conclusion:** The court affirmed the judgment and sentence, concluding that Smith received a fair trial despite the raised propositions. **Opinion by: Lewis, P.J.** **Concurrences:** Kuehn, V.P.J.; Lumpkin, J.; Hudson, J.; Rowland, J.

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F-2017-1240

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In OCCA case No. F-2017-1240, Kevin Eugene Fowler appealed his conviction for five counts of Child Neglect. In an unpublished decision, the court decided to affirm his convictions and sentences. One judge dissented. Kevin Eugene Fowler was found guilty by a jury of neglecting his children, which included not providing them enough food and medical care. The jury recommended that he be sentenced to 30 years in prison for four of the counts and 10 years for the last count, with all sentences to be served one after the other, totaling 130 years. Fowler was required to serve 85% of his sentences before being eligible for parole. Fowler raised several points during his appeal, arguing that there were issues with how evidence was presented in court. He claimed that comments made by a police officer were unfair and that he did not receive a fair trial because of them. However, the court found that these comments were relevant and did not harm his case. Fowler also argued that he was wrongly punished multiple times for the same actions regarding his children, but the court ruled that his separate actions of failing to provide food and medical care could be treated as different crimes. He accused the State of misconduct during the trial, but the court concluded that the comments made were either allowed within the context of the trial or did not unfairly influence the jury. Another point raised was about his attorney not doing a good job. Fowler claimed his lawyer failed to object to improper arguments and was not sufficiently prepared. The court found that his lawyer's actions were not deficient and that there was no actual conflict of interest in defending both him and his co-defendant. Fowler believed that his lengthy sentences were excessive. Yet, the court determined that the sentences fell within the legal limits, and the trial judge had considered all relevant facts before deciding to make the sentences consecutive. Lastly, Fowler argued that all these issues combined made it impossible for him to get a fair trial, but since the court did not find any individual errors significant, they ruled against this claim as well. Overall, the court affirmed Fowler's multiple convictions and sentences, concluding that no errors were made that would warrant a new trial or a change in sentencing.

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F-2017-825

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In OCCA case No. F-2017-825, Ryan Paul Farr appealed his conviction for burglary in the second degree and possession of a firearm. In an unpublished decision, the court decided to affirm the convictions and sentences. There was one dissenting opinion. The case began when Farr was found guilty by a jury in Carter County. He faced two counts: one for burglary after having previous convictions, and another for having a firearm despite also having previous convictions. The jury decided that he should serve 25 years for the burglary and 15 years for the firearm possession, and the sentences were ordered to be served one after the other. Farr raised many complaints in his appeal, mentioning problems he believed occurred during the trial. He argued that the trial court made mistakes when it allowed the case to be reopened for more witness testimony and that he did not get a fair trial due to evidence of other crimes being presented. He also expressed concern about the prosecutor’s comments, which he thought made it seem like he was guilty before the jury could decide. The court looked closely at each of Farr's points. For the first complaint, the court said that letting the State present more witness testimony was a reasonable choice and didn’t hurt Farr's case. About the evidence of other crimes, the court noted that Farr didn’t object at the time these details were shared, which meant he couldn’t complain later. Farr also had issues with how his prior convictions were brought up during the trial, but the court found no major errors there either. When it came to the prosecutor’s behavior, the court decided that while the prosecutor made some points during arguments, they did not sway the trial's fairness. Farr's claims about not having enough evidence supporting his burglary and firearm possession were rejected since the court believed the evidence presented was sufficient to prove his guilt. Lastly, although Farr thought his sentences were too long, the court reminded him that sentences are usually left to the discretion of the judge unless they are extremely unfair, which in this case they weren’t. Because the court found no errors in the trial process, they confirmed the decision made in the lower court. In conclusion, the court affirmed the judgment and sentence against Farr, stating that all of his arguments were without merit.

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F-2017-147

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**IN THE COURT OF CRIMINAL APPEALS OF THE STATE OF OKLAHOMA** **BRIAN A. STALEY, Appellant,** **Case No. F-2017-147** **V.** **STATE OF OKLAHOMA, Appellee.** **FILED IN COURT OF CRIMINAL APPEALS STATE OF OKLAHOMA APR 25 2019** **SUMMARY OPINION** **JOHN D. HADDEN, JUDGE:** Appellant Brian A. Staley was convicted in Caddo County District Court for various drug-related offenses and possession of a firearm. He appealed, raising eleven propositions of error. **Propositions of Error:** 1. Denial of motion to suppress evidence from a warrantless search. 2. Admission of evidence concerning other controlled substances. 3. Conviction for an uncharged offense. 4. Insufficient evidence on acquiring proceeds from drug activity. 5. Insufficient evidence linking firearms to trafficking. 6. Prejudicial statements by a state trooper. 7. Improper prosecutorial arguments. 8. Insufficient evidence of knowing possession of marijuana. 9. Improper admission of irrelevant handwriting evidence. 10. Cumulative effect of errors denying a fair trial. 11. Excessive sentences. **Court Decision:** After reviewing the record, the Court affirmed Staley's convictions. **Key Findings:** - **Proposition I:** The traffic stop and subsequent consent to search were lawful, thus the motion to suppress was denied. - **Proposition II:** The evidence of other controlled substances was admissible as res gestae; hence, no abuse of discretion in its admission. - **Proposition III:** Any scrivener's error in statute citation for Count 2 did not affect substantial rights and was denied plain error review. - **Propositions IV, V, and VIII:** The evidence was sufficient for a conviction on all counts when viewed favorably to the prosecution. - **Propositions VI and VII:** Claims of evidentiary harassment and improper argument did not impede a fair trial; the trial court’s admonishments mitigated any potential prejudice. - **Proposition IX:** The handwritten note was relevant and supported the themes of trafficking and possession designed by the prosecution. - **Proposition X:** Cumulative error doctrine was not applicable as no significant errors occurred that affected the outcome. - **Proposition XI:** The sentences did not shock the conscience and were not excessive in light of the offenses committed. **Opinion of the Court:** The Judgment and Sentence of the District Court is AFFIRMED. --- **APPEARANCES:** - **For Appellant:** Albert Hoch, Norman, OK - **For Appellee:** Alan Rosenbaum, Caddo County District Attorney; Mike Hunter, Attorney General of Oklahoma; William R. Holmes, Assistant Attorney General, Oklahoma City, OK **Opinion by:** Hudson, J. **Concurrences:** Lewis, P.J.; Kuehn, V.P.J. (concurring in part/dissenting in part); Lumpkin, J.; Rowland, J. **Concurring/Dissenting Opinion by Kuehn, V.P.J.:** While I agree with the majority on other claims, I dissent regarding the admission of evidence about extraneous controlled substances and the handwritten notes. I believe such evidence was improperly admitted and could have imparted an unfair prejudice. Nonetheless, this evidence did not materially affect the trial's outcome. For a detailed opinion and further reading, access the [full opinion here](https://opinions.wirthlawoffice.com/wp-content/uploads/F-2017-147_1734273240.pdf).

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F-2017-1230

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In OCCA case No. F-2017-1230, Oleithia June Cudjo appealed her conviction for second degree murder while in the commission of felony driving under the influence, driving while privileged suspended, and transporting an open container of liquor. In an unpublished decision, the court decided to affirm her conviction. One judge dissented.

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F-2017-1191

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In OCCA case No. F-2017-1191, Leroy Edward Gilbert, Jr. appealed his conviction for First Degree Murder. In an unpublished decision, the court decided to affirm the conviction. One justice dissented. The case involved the murder of Erma Jean Goodou, who was killed in 1994. For many years, the murderer remained unknown. Goodou was found dead in her home, showing signs of a violent struggle. There were indications that someone entered through a window, attacked her, and fled. Despite extensive investigation, her murder stayed unsolved for almost twenty years. In 2013, some of the evidence was retested, which produced DNA that identified Gilbert as the suspect. He had previously denied knowing Goodou despite having been a high school acquaintance. His fingerprints were also found at the crime scene. During the trial, Gilbert testified, claiming they had a secret relationship and tried to explain the presence of his DNA and prints, but the evidence was compelling against him. Appellant's arguments in the appeal included claims of improper jury instructions regarding the 85% Rule, prosecutorial misconduct, and ineffective assistance of counsel. The court found that while there were errors in jury instructions, specifically about the 85% Rule not being applicable to his case, these did not affect his substantial rights or the outcome. The comments made by the prosecutor during the trial were also deemed not to have harmed Gilbert's defense. Ultimately, despite a dissenting opinion regarding the impact of those errors, the court upheld the trial's decision, maintaining Gilbert's conviction for First Degree Murder and sentencing him to life without the possibility of parole.

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F-2017-639

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In OCCA case No. F-2017-639, Christopher Lantz Wildman appealed his conviction for First Degree Manslaughter. In a published decision, the court decided that his conviction would be upheld. One judge dissented. Christopher Wildman was found guilty by a jury of killing someone and was sentenced to 12 years in prison. He was awarded credit for the time he served before the trial. Wildman argued several points in his appeal, claiming that his rights were violated during the trial. First, he said the evidence didn’t prove he wasn’t acting in self-defense, which is an important legal argument in these cases. He believed that if the evidence did not convince the jury beyond a reasonable doubt that he acted with wrongful intent, he should not have been convicted. However, the court found that there was enough evidence suggesting he did not act in self-defense. Wildman also claimed that his trial was unfair because some evidence showed bad character, and that the trial court did not properly instruct the jury on how to consider that evidence. The court reviewed this point and decided that the evidence presented was not overly prejudicial, so it allowed the trial to continue without a limiting instruction. He argued prosecutorial misconduct, which means he felt the prosecutor acted inappropriately during the trial. Wildman argued that remarks made by the prosecutor affected his right to a fair trial. The court noted that comments made by the prosecutor were not serious enough to change the outcome of the trial and were in response to claims made by Wildman. Wildman believed that his attorney did not perform well and that he should have had a better defense. The court examined this claim closely. It stated that for someone to prove their lawyer was ineffective, they need to show that their lawyer's performance was very poor and that it influenced the trial's outcome. The court found that Wildman's lawyer did not make serious mistakes. Additionally, he felt that some evidence about the victim’s habits was improperly allowed into the trial. However, since he did not object to this evidence during the trial, it made it harder for him to appeal this point later. Finally, Wildman argued that all these errors combined led to an unfair trial. The court did not find any significant errors, so they upheld the conviction. In conclusion, the court affirmed Wildman's conviction and sentence, stating that the original trial was fair and proper according to the evidence and legal standards.

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F-2017-1189

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In OCCA case No. F-2017-1189, Lawrence Raymond Silver, Jr. appealed his conviction for Solicitation for First Degree Murder. In a published decision, the court decided to affirm the judgment and sentence from the district court. One judge dissented. The case started when Silver was tried and found guilty of trying to get someone to commit murder. The jury decided he should go to prison for thirty-seven years. During the trial, Silver raised several issues on appeal. First, he argued that the prosecutor said some unfair things that hurt his chances for a fair trial. However, the court found that these comments were not serious enough to make the trial unfair, and there was no error. Silver also thought that he should not have received three years of supervision after leaving prison since the law said this only applied to specific crimes. The court agreed that there was an error, but the trial judge later fixed it, reducing the supervision time to nine months to a year. Because this was corrected, Silver did not need any more relief on this issue. Additionally, Silver claimed that his lawyer did not help him well enough during the trial. The court explained that to show his lawyer was ineffective, Silver needed to prove that if the lawyer had done better, the result of the trial would have been different. Since the court didn't find any of the previous claims valid, they decided that his lawyer's work couldn't be judged as ineffective. Finally, Silver said that even if no single issue mattered on its own, the overall mistakes during the trial combined to deny him a fair trial. The court ruled that without any valid individual mistakes, his claim for cumulative errors was groundless. In conclusion, the court upheld the original judgment and sentence against Silver, and his request for further testing of his lawyer's assistance was denied.

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