M-2017-739

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In OCCA case No. M-2017-739, Jeremy L. Garza appealed his conviction for Driving under the Influence of Intoxicating Substances. In an unpublished decision, the court decided that the trial court abused its discretion by allowing Garza to represent himself during the acceleration proceedings without him properly waiving his right to counsel. One judge dissented. Garza had initially entered a guilty plea to a DUI charge and was given eighteen months of probation. However, the State later accused him of not following the rules of his probation, such as failing to report and not paying fines. When Garza addressed the court without a lawyer during these acceleration proceedings, the court did not properly document that he understood his right to have a lawyer or that he chose to give up that right. The court's opinion stressed that anyone facing charges has the right to a lawyer and can only waive this right if they do so knowingly and intelligently. This means they need to understand the consequences of representing themselves. Since the court did not show that Garza waived his right to counsel properly, the decision to sentence him was reversed. The matter was sent back to the lower court, instructing them to vacate the judgment and hold further proceedings that follow this ruling.

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F-2017-241

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In OCCA case No. F-2017-241, Joseph Tunley, Jr. appealed his conviction for Assault and Battery with a Deadly Weapon. In an unpublished decision, the court decided to reverse the conviction and send the case back for a new trial. The court found that Tunley's original waiver of his right to a jury trial was not shown to be knowing, intelligent, or competent, which is required by law. The dissenting opinion was not specified, but it indicates that there may have been differing views on the matter.

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F-2005-363

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In OCCA case No. F-2005-363, Adan Ramos, Jr. appealed his conviction for Robbery by Force or Fear. In an unpublished decision, the court decided to reverse the conviction and remand the case for a new trial. The court found that there was no valid waiver of Ramos's right to a jury trial, which is a fundamental right. Ramos's other claims about ineffective assistance of counsel, exclusion of evidence, and interpreter issues became moot since the court ordered a new trial.

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