F-2009-749

  • Post author:
  • Post category:F

In OCCA case No. F-2009-749, Waymond George Morrison appealed his conviction for multiple offenses, including Possession of Controlled Dangerous Substances (CDS) with Intent to Distribute, Driving a Motor Vehicle Without a License, Distribution of CDS, and Possession of Proceeds from drug-related activities. In an unpublished decision, the court decided to affirm his conviction for three counts while reversing one count related to possession of proceeds, ordering that it be dismissed. One justice dissented. Morrison faced several serious charges related to drugs and was sentenced to a total of 100 years in prison for the most severe charges, along with some fines. During his trial, he argued that his rights to due process were violated, that there was an improper handling of testimony, and that he faced double punishment for his actions. The court evaluated his claims: 1. The first issue was whether Morrison’s rights were violated when the court didn’t allow certain testimony. The court decided that the excluded testimony wasn't relevant to the case, so his rights were not infringed upon. 2. The second concern was about the trial being split into two parts (bifurcated). The court ruled that this was a correct decision and that it did not abuse its discretion. 3. Morrison also contended that testimony from a rebuttal witness should not have been permitted. The court found that this was appropriate because the rebuttal witness provided necessary clarifications to previous testimonies. 4. Regarding the issue of double punishment, the court explained that Morrison’s possession and distribution charges were based on separate actions—one for having cocaine and one for selling it. However, his conviction for possession of proceeds was tied to the same act of selling cocaine, so that particular conviction was reversed. 5. The sufficiency of the evidence against him was also questioned. The court found that there was enough evidence for the jury to reasonably convict Morrison of intent to distribute due to the drugs found in his car shortly after a sale. 6. Lastly, Morrison felt his sentence was excessively harsh. The court did not agree, noting that due to his previous criminal record, the sentence was justifiable. In conclusion, the court upheld the majority of Morrison's convictions and sentences, significantly addressing various legal arguments made by him during the appeal process.

Continue ReadingF-2009-749

F-2006-1055

  • Post author:
  • Post category:F

In OCCA case No. F-2006-1055, Jaumon Mondell Okyere appealed his conviction for First Degree Murder and Child Neglect. In an unpublished decision, the court decided to affirm the conviction for First Degree Murder but reversed the conviction for Child Neglect with instructions to dismiss. One judge dissented. Jaumon Mondell Okyere was found guilty of killing Richard Briggs and neglecting Briggs’ infant child. The case began when Okyere, angry over Briggs’ relationship with his former partner, Melonie Totty, conspired to lure Briggs into a trap where he could harm him. On March 18, 2005, Okyere shot Briggs multiple times and left the baby in a cold car, which was later found unharmed. During the trial, Totty testified against Okyere, leading to his conviction. Okyere argued that his trial was unfair because of issues related to his legal representation, including an alleged conflict of interest where the public defender's office previously represented Totty. The court found that Okyere's right to effective counsel was not violated, stating that the trial court took appropriate steps to address potential conflicts. Okyere also raised objections over the trial court granting continuances for the prosecution without proper procedure, insufficiency of the evidence, and inadequate jury instructions on the Child Neglect charge. The court concluded that any errors did not significantly impact the trial's fairness. However, it did find that the jury was not properly instructed on the requirement of being responsible for the child's welfare, which led to the reversal of the Child Neglect conviction. Ultimately, while Okyere’s conviction for murder was upheld, the court instructed to dismiss the charges related to child neglect due to the instructional error. One judge disagreed with the dismissal, believing the matter warranted a new trial instead.

Continue ReadingF-2006-1055