F-2008-229

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In OCCA case No. F-2008-229, an individual appealed his conviction for several counts of child sexual abuse and related charges. In a published decision, the court decided to affirm most of the convictions but reversed one count. One judge dissented. The individual, Timothy Ray Belvin, faced multiple serious charges in a district court. The charges included child sexual abuse, procuring a child for pornography, and lewd acts with a child. During the trial, some charges were dropped, but he was found guilty on others. The judge sentenced him to life imprisonment on two counts and ten years on the rest, with the sentences being served at the same time. In his appeal, the individual raised several arguments. He claimed that some of his convictions should be overturned due to the statute of limitations, which limits the time for prosecuting a crime. He also argued that there wasn't enough evidence to prove certain charges and that he did not receive proper legal help during his trial. Furthermore, he believed the punishment was too severe. After reviewing everything, the court determined that the prosecution was allowed to pursue one of the charges because there was evidence that acts occurred within the time frame allowed by law. They also found enough evidence for the conviction on several counts. However, they agreed that one charge did not have enough proof, so they reversed that specific conviction. The court also concluded that the defense was effective and that the sentences were appropriate given the nature of the crimes and the circumstances. As a result, the court upheld most of the convictions and instructed the lower court to dismiss one charge.

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F-2005-716

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In OCCA case No. F-2005-716, #Smith appealed his conviction for #Indecent or Lewd Acts with Child Under Sixteen. In an unpublished decision, the court decided #to reverse and remand for a new trial. #n dissented. In this case, Smith was found guilty of committing indecent acts with a young girl named T.C., who was ten years old at the time of the incidents. It all began when T.C. and her family traveled to Oklahoma due to the death of her grandmother. While in Oklahoma, Smith befriended T.C.'s parents and was allowed to spend time with T.C. while her parents worked. One day, Smith took T.C. to a swimming pool. Several women observed Smith engaging in suspicious behavior with T.C., such as fondling her and kissing her inappropriately. They felt that T.C. looked scared and uncomfortable. After watching the situation for about two hours, they called the police. The police spoke to T.C. and her parents, but at first, T.C. denied that anything inappropriate had happened. However, during the police investigation, Smith made troubling statements, including mentioning that he had previously been convicted of a similar crime against his own daughter. During the trial, T.C. testified that she thought of Smith like a grandfather and said he never touched her inappropriately at the pool. However, the other witnesses provided consistent testimonies about what they observed. The jury ultimately believed the eyewitnesses over T.C.'s denial of the abuse. Smith's defense argued that the evidence was not sufficient, and they challenged whether the trial was fair. They also raised several legal points regarding sentencing and the inclusion of evidence from past crimes. The court agreed with some of these points, particularly regarding the trial's fairness and the admissibility of evidence related to Smith's prior convictions. In the end, the court reversed Smith's conviction and ordered a new trial because they found issues in how evidence and instructions were handled during the original trial. Smith will now have another chance to contest the accusations against him.

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F-2004-368

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In OCCA case No. F-2004-368, an individual appealed his conviction for multiple counts of sexual crimes against his daughter. In a published decision, the court decided to affirm the convictions for Second Degree Rape, Forcible Sodomy, and Second Degree Rape by Instrumentation, but reversed the conviction for Lewd Molestation. One judge dissented on the Forcible Sodomy count. Tommie Loyd Payne was charged with numerous sexual offenses in Muskogee County, with the jury acquitting him of 97 counts but convicting him on 4. The court sentenced him to a total of 70 years in prison, with some sentences to be served one after the other. Payne raised several issues on appeal. He argued that the conviction for Forcible Sodomy violated double jeopardy because the jury instructions blended different elements of the crimes, which could have led to a wrongful conviction based on the same actions. However, the court found that the jury's understanding of the separate charges made this error negligible, so the convictions stood. He also contended that Lewd Molestation should not be punished because it was a lesser included offense of Rape by Instrumentation. The court agreed that both charges referred to the same act, which violated the prohibition against double jeopardy, resulting in the reversal of the conviction for Lewd Molestation. Finally, Payne pointed out that the trial court did not complete a pre-sentence investigation before sentencing, which was a mandatory requirement. However, the lack of this investigation was found to be a harmless error. Overall, the court upheld the serious convictions against Payne while addressing significant legal standards regarding double jeopardy and trial procedures.

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