RE-2020-501

  • Post author:
  • Post category:RE

In OCCA case No. RE-2020-501, Kaylen Harrison Rice appealed his conviction for the revocation of his suspended sentences. In a published decision, the court decided to affirm the revocation but vacated the portion that required him to remain under supervision. One judge dissented. Kaylen Harrison Rice had previously been given suspended sentences for his crimes. He was supposed to follow certain rules instead of serving time in jail, but the rules changed to make his crime less serious. A new law stated that if someone is being revoked for a crime that is now seen as less serious, their punishment must follow the new law's limits. Kaylen argued that his one-year revocation was too long given the new law. However, the court found that the existing rules and his situation didn’t allow for the changes he suggested. During his revocation hearing, Kaylen raised concerns about being supervised after his jail time, saying that the law did not allow for that kind of supervision for his crime. The State acknowledged this point but later dropped the argument, which meant the court didn't consider it. The court decided that since the State had waived its right to challenge this part, it could not revisit it in Kaylen's appeal. In conclusion, the court upheld the decision to revoke Kaylen's suspended sentences but overturned the requirement that he be supervised, which was not allowed under the new law.

Continue ReadingRE-2020-501

C-2019-15

  • Post author:
  • Post category:C

In OCCA case No. C-2019-15, Nicholas Allan Daniel appealed his conviction for First Degree Felony Murder (Distribution of a Controlled Dangerous Substance) and Robbery with a Firearm. In an unpublished decision, the court decided to grant his request for a writ of certiorari, modifying his conviction for First Degree Felony Murder while reversing his conviction for Robbery with a Firearm. One judge dissented from this opinion. Nicholas Daniel faced serious charges after being accused of killing a man while trying to sell drugs and also robbing him. He pleaded guilty to these charges but later wanted to withdraw his plea. He felt that his lawyer did not help him enough during the process, and he raised several reasons for this claim. He argued that the lawyer had a conflict of interest, that he did not fully understand the consequences of his plea, that the plea lacked a good factual basis, and that he did not get effective help from his lawyer. The court carefully examined each of Daniel's arguments. In the first argument, the court found no real conflict of interest because Daniel’s dissatisfaction stemmed from the state’s evidence and the sentence, not from his lawyer's performance. In the second argument, it was decided that Daniel had entered the plea with a clear understanding that he would face sentencing and that it was done voluntarily. For the third argument, about the factual basis for his felony murder conviction, the court found that there were issues with how the charges were presented. It was determined that the way Daniel described the incident in his plea was inadequate to meet the legal requirements for felony murder because he was treated primarily as a buyer, not a seller of drugs. Thus, the combined crimes could not both stand. In terms of Daniel's claims against his lawyer's effectiveness, the court acknowledged that his lawyer could have done better. However, it ruled against some of Daniel's more serious arguments on the effectiveness of his lawyer, finding that he did not provide sufficient proof that his lawyer’s actions negatively affected his defense. In the final decision, the court adjusted Daniel's felony murder conviction based on the issues around how the charges were processed and reversed the robbery conviction, as it should not stand alongside the adjusted murder charge. Ultimately, the court confirmed Daniel's modified conviction for felony murder but sent the case back regarding the robbery count. One judge disagreed with parts of this conclusion, stating that the trial court had not made a mistake in the first place and therefore should not have granted the appeal. The judge argued that since Daniel's plea was expressed clearly and voluntarily, it should have been upheld without modification. The judge emphasized the importance of adhering to proper legal processes and rules when making such determinations. Thus, the outcome celebrated the importance of ensuring that legal principles and procedures are correctly applied, even as it affirmed Daniel’s conviction under modified circumstances.

Continue ReadingC-2019-15