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 In an unpublished decision, the court decided to affirm the judgment and sentence.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-2011-962

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In OCCA case No. F-2011-962, Jonas Alan Thornton appealed his conviction for Assault with a Dangerous Weapon. In an unpublished decision, the court decided to reverse Thornton's conviction and remand the case for a new trial due to concerns over the impartiality of the trial judge. One judge dissented. Thornton was convicted after a non-jury trial where the judge was someone he had previously consulted while looking for legal advice regarding the case against him. The incident occurred in January 2010 when Thornton allegedly fired a handgun into a house. After being arrested, he spoke with the judge, who was not in his judge role at that time. Later, the judge was elected and presided over Thornton’s trial. During the appeal, Thornton claimed that the judge should have recused himself because of their prior interaction, which could influence how the judge viewed the case. The court found that the judge failed to follow rules requiring him to step aside, which led to a decision that Thornton did not receive a fair trial. The court stated that even though Thornton did not directly ask for the judge to disqualify himself at the time, this did not eliminate the obligation for the judge to recognize a conflict of interest. The relationship between Thornton and the judge meant that the fairness of the trial could be doubted. As a result, the court ruled that Thornton's conviction needed to be reversed, and he would get a new trial. This decision effectively set aside the earlier trial's results and meant that any further claims Thornton made concerning his representation or other trial aspects were not addressed since the focus was on the impartiality of the judge.

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