F-2018-1083

  • Post author:
  • Post category:F

The document is a summary opinion from the Court of Criminal Appeals of Oklahoma regarding the case of Bryan Lee Guy, who was appealing his conviction for robbery with a dangerous weapon. Below is a concise breakdown of the case and its outcome: ### Case Overview: - **Appellant**: Bryan Lee Guy - **Appellee**: The State of Oklahoma - **Court**: Court of Criminal Appeals of Oklahoma - **Original Jurisdiction**: District Court of Tulsa County - **Case Number**: F-2018-1083 - **Trial Judge**: Honorable Dawn Moody - **Sentence**: Thirty-seven years imprisonment (with a requirement to serve 85% before parole eligibility) ### Issues on Appeal: 1. **Instruction on Inconsistent Statements**: Guy argued that the jury was not properly instructed regarding the use of a victim's prior inconsistent statements. The court concluded this omission was not plain error and did not affect the trial's outcome. 2. **Conflicting Instructions**: Guy contended that jury instructions about the return of the verdict and lesser offenses were conflicting. The court found no plain error in these instructions, stating they did not misdirect the jury. 3. **Post-Imprisonment Supervision Instruction**: Guy challenged the inclusion of an instruction on mandatory post-imprisonment supervision, which the court acknowledged was given in error but did not constitute plain error affecting his rights. 4. **Ineffective Assistance of Counsel**: Guy claimed his attorney was ineffective on several grounds, including not reasserting a pretrial motion to dismiss and failing to take judicial notice of prior convictions. The court found no merit in these claims, concluding Guy could not show that these alleged deficiencies affected the trial outcome. ### Court's Decision: - The court affirmed the judgment and sentence of the district court. - Guy's request for an evidentiary hearing to further support his claim of ineffective assistance was denied. ### Conclusion: The appeal did not result in a reversal of the conviction or sentence, as the court found that the issues raised were either without merit or did not rise to the level of plain error that would impact the fairness of the trial.

Continue ReadingF-2018-1083

F-2017-1215

  • Post author:
  • Post category:F

In OCCA case No. F-2017-1215, Ganey Marques Fairley appealed his conviction for Child Abuse by Injury and Child Neglect. In an unpublished decision, the court decided to affirm Fairley’s convictions but remanded the case for resentencing. One judge dissented. Fairley was found guilty of abusing a child and neglecting them. The trial took place in Tulsa County, where the jury gave Fairley a long sentence. Fairley's appeal brought up several concerns about how the trial was conducted, particularly pointing out that the prosecutor acted inappropriately. The first issue was about the prosecutor’s behavior during the trial, which Fairley claimed made it impossible for him to have a fair trial. He believed the prosecutor mentioned past abuse claims related to him when questioning an expert witness and kept bringing it up during her closing statements. Fairley argued that this made the jury think he was guilty of past actions instead of focusing on the current case. The court found that the way the prosecutor questioned the expert did indeed go too far and included too much information that shouldn’t have been brought to the jury's attention. They agreed that this could have influenced the jury's decision and may have negatively affected the fairness of the trial. While the court believed that the evidence against Fairley was strong enough to still call him guilty, they recognized that the prosecutor's actions had created an unfair situation, especially during the part where the jury decided on the punishment. In conclusion, the court decided they would keep Fairley’s guilty verdict but would send the case back to be resentenced, as they felt the previous sentencing might have been tainted by the improper actions of the prosecutor. The dissenting judge thought that if the prosecutor's behavior was indeed so wrong, it should affect the conviction itself, not just the sentence.

Continue ReadingF-2017-1215

F-2017-1231

  • Post author:
  • Post category:F

In OCCA case No. F-2017-1231, Antonio Tiwan Taylor appealed his conviction for two counts of Sexual Abuse of a Child. In a published decision, the court decided to affirm the conviction. One member of the court dissented. Antonio Tiwan Taylor was found guilty by a jury in Oklahoma for harming his girlfriend's seven-year-old daughter in December 2014. The girl talked about what happened to her, and the State also shared letters that Taylor wrote to the child's mother where he seemed to admit his actions and apologize. Furthermore, a young woman testified that Taylor had raped her before, which was included to show his tendency to commit such acts. Taylor appealed his conviction on several points. First, he argued the trial court should not have allowed the woman’s testimony, claiming it was more harmful than helpful to his case. The court reviewed this claim and found no error in allowing her testimony; they saw it as relevant and not unfairly prejudicial to Taylor. Second, during the trial, the woman who made the earlier accusation did not show up, and Taylor argued that her absence meant her prior testimony shouldn’t be used. The court decided she was unavailable and allowed her earlier testimony to be read to the jury. Taylor disagreed but the court believed the State made enough effort to locate her, and they maintained that her previous testimony was still valid and credible. Next, Taylor made a claim based on collateral estoppel. This is a legal principle that says if someone was found not guilty of a crime, they shouldn’t be tried again for the same issue. Taylor believed that because he was acquitted of raping the woman in question, her testimony should not have been used against him in this case. However, the court explained that an acquittal does not mean the person is innocent but that there was reasonable doubt about their guilt. Thus, they could still consider the facts of the earlier case for a different purpose. Lastly, Taylor argued that even if the trial had a few errors, they added up to a reason for a new trial. Since the court found no errors in the previous claims, this argument was also denied. The court ultimately affirmed the decisions made during the trial, meaning Taylor's convictions and sentences remained in place.

Continue ReadingF-2017-1231

F-2000-861

  • Post author:
  • Post category:F

In OCCA case No. F-00-861, Anthony Tyrone Raymond appealed his conviction for trafficking illegal drugs. In an unpublished decision, the court decided to uphold the conviction but modified the fine imposed. One judge dissented. Raymond was found guilty by a jury and sentenced to ten years in prison and a fine of $25,000. He raised several errors on appeal, including that the trial court wrongly excluded a witness's testimony, improperly instructed the jury about evidence, and made mistakes regarding the imposed fine and the legality of the search that found drugs on him. The court agreed that it was wrong to deny the defense witness the chance to testify, but believed this did not affect the outcome of the trial. About the jury instructions, the court found that there was no error because the instructions followed the defense's request. They also said the fine was incorrectly high based on the law, so they changed it to $10,000. Regarding the search that uncovered drugs, the court ruled that the officers acted properly since they had reasonable suspicion about Raymond’s involvement in crime. They also noted that Raymond had the right to contest the evidence against him, but there was no issue about him not being able to present his case during the hearing about this. Finally, they stated that the amount of drugs relevant to the conviction was clearly outlined. The final decision was to maintain the conviction but adjust the fine to reflect the correct amount.

Continue ReadingF-2000-861