Justia Georgia Supreme Court Opinion Summaries
Articles Posted in Constitutional Law
Maddox v. Georgia
Sovensky Maddox was convicted by jury of the malice murder of Lafayette Smith. Maddox’s jury trial was conducted simultaneously with the bench trial of his co-defendant, Jason Evans. Evans was acquitted. Maddox appealed, contending that the trial court erred by simultaneously holding a bench trial for his co-defendant while holding a jury trial for him and by denying his motion to sever the trials. The Georgia Supreme Court determined that Maddox waived any claim of error in regard to the simultaneous jury and bench trials, and that the trial court did not abuse its discretion by denying Maddox’s motion to sever. View "Maddox v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Shelton v. Georgia
Appellant James Shelton was convicted of malice murder in connection with the death of Manuel “Manny” Palmer. Appellant contended on appeal that: (1) the trial court erred in denying his motion for directed verdict; and (2) trial counsel was constitutionally deficient for failing to obtain a psychologist’s evaluation regarding his criminal responsibility. Finding no reversible error, the Georgia Supreme Court affirmed. View "Shelton v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Martinez-Arias v. Georgia
Alejandro Martinez-Arias was convicted by jury of aggravated child molestation, aggravated sexual battery, and child molestation. In his appeal to the Georgia Court of Appeals, Martinez-Arias contended, among other things, that the trial court erred when it allowed the State to present opinion testimony about certain purported aspects of Mexican or Latino culture from a school counselor who had worked with M.J., the child victim. The Court of Appeals affirmed, concluding that the trial court did not abuse its discretion in admitting the disputed testimony. The Georgia Supreme Court granted certiorari and asked the following question: “Did the trial court commit reversible error when it admitted opinion testimony about cultural characteristics of an ethnic group?” The Court answered, "yes," the trial court abused its discretion when it admitted this testimony, but the Court nonetheless affirmed because the error was harmless based on the record in this case. View "Martinez-Arias v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Brennan v. Georgia
Appellant Erica Brennan was convicted of felony murder and other crimes in connection with the scalding death of her eight-year-old stepdaughter, Sarah Harris. On appeal, Appellant argued: (1) the trial court erred by conducting a pre-trial conference pursuant to Uniform Superior Court Rule (“USCR”) 33.5 (B) outside her presence in violation of her federal and state constitutional rights; (2) the trial court erred by initiating an ex parte conversation with the lead detective, and by failing to disclose this conversation to counsel; and (3) her second-chair counsel rendered ineffective assistance by being mentally and physically incapable of assisting in Appellant’s trial. Finding no reversible error, the Georgia Supreme Court affirmed Brennan's conviction. View "Brennan v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Terrell v. Georgia
Frederick Terrell was convicted by jury of felony murder, aggravated assault, and other crimes related to the shooting death of Tashiba Matthews. On appeal, Terrell argued he was entitled to a new trial based on the inordinate delay of his appeal, the State’s improper comment on his right to remain silent, the denial of his motion to sever, the denial of his motion for mistrial, constitutionally ineffective assistance of counsel, and the prejudicial effect of the combined errors of the trial court and counsel. The Georgia Supreme Court concluded Terrell's aggravated assault conviction should have merged with felony murder for the purposes of sentencing; the Court remanded for the trial court to correct a sentencing error. Otherwise, it affirmed in all other respects. View "Terrell v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Langley v. Georgia
In 1987, Dennis Langley was convicted of murder and sentenced to serve life in prison. He was later released on parole. On July 26, 2019, a search of Langley’s home revealed a semi-automatic pistol with a loaded magazine hanging on a wall in his living room and two rifles in his bedroom closet. Langley was charged by accusation with one count of possession of a firearm by a convicted felon in violation of OCGA 16-11-131 (b).1 The accusation specified that he had previously been convicted of a forcible felony, murder. Langley pled guilty, and the trial court sentenced him to a term of imprisonment with the first six months to be served in confinement and the remainder to be served on probation. The State filed a timely notice of appeal directed to the Court of Appeals, arguing that the trial court lacked the authority to impose a probated sentence and that the sentence was therefore void. The Georgia Supreme Court granted certiorari in this case to decide whether the Court of Appeals erred in holding that trial courts lacked the discretion to probate any portion of a sentence imposed for possession of a firearm by a convicted felon. The Supreme Court concluded that the Court of Appeals did err, and therefore reversed its judgment. View "Langley v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Gardei v. Conway, et al.
Carl Gardei filed a petition for declaratory judgment against R. L. “Butch” Conway, the Sheriff of Gwinnett County, Georgia, and D. Victor Reynolds, the Director of the Georgia Bureau of Investigation (“GBI”), in their individual capacities (collectively “Respondents”), alleging that Respondents’ continued enforcement against him of the statutory requirements governing Georgia’s Sex Offender Registry (the “Registry”) violated his constitutional rights. The trial court dismissed Gardei’s petition on the ground that his claims for relief were time barred under OCGA 9-3-33, the two-year statute of limitation for personal injury claims, because Gardei had initially registered under the Registry Act in 2009 and every year thereafter. The Court of Appeals affirmed in a divided opinion. The Georgia Supreme Court granted Gardei’s petition for certiorari to address whether Gardei’s claims for declaratory and injunctive relief were subject to the limitation period set forth in OCGA 9-3-33, and whether any applicable statute of limitation was tolled based on the requirement that Gardei annually renew his sex-offender registration. The Supreme Court concluded that although Gardei’s claims were subject to the two-year statute of limitation under OCGA 9-3-33, because he sought only prospective relief, the statute of limitation on those claims had not yet begun to run. Therefore, the Supreme Court reversed the Court of Appeals’s judgment holding that Gardei’s claims were time-barred, and remanded the case for further proceedings. View "Gardei v. Conway, et al." on Justia Law
Ellison v. Georgia
Emanuel Ellison appealed his convictions for felony murder and other offenses stemming from the 2014 fatal shooting of Kentrealvist Malcom during an argument at an apartment complex. Ellison argued only that the trial court erred in denying his motion for immunity from prosecution under OCGA 16-3-24.2 based on a justification defense. The Georgia Supreme Court found the record supported at least one of the trial court’s two bases for its ruling — an adverse credibility determination — and so judgment was affirmed. View "Ellison v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Bowen v. Noel
Rodney Noel was granted habeas relief from his conviction for murdering nine-month-old Terrell Williams (“Terrell”). The habeas court held that Noel’s appellate counsel provided ineffective assistance for two reasons: (1) counsel failed to challenge the trial court’s denial of Noel’s right to impeach his intimate partner and Terrell’s mother, Crystal Williams (“Williams”), using three prior violent acts by her; and (2) counsel failed to assert Noel’s right to use these acts as proof that Williams, not Noel, killed Terrell. The Georgia Supreme Court disagreed with the habeas court that appellate counsel’s performance was constitutionally ineffective. The Supreme Court found Noel’s claim regarding alleged impeachment error failed because it was not preserved at trial and so could not have been successfully raised on appeal. "And Noel has not shown that any deficiency of appellate counsel regarding proof of third-party guilt was prejudicial." Judgment was therefore reversed. View "Bowen v. Noel" on Justia Law
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Constitutional Law, Criminal Law
Jenkins v. Georgia
Devon Jenkins was convicted of felony murder and other crimes in connection with an August 6, 2014 home invasion in which the victim was shot and killed and two other victims, including a child, were injured. On appeal, Appellant contended: (1) the evidence was legally insufficient to support his conviction for possession of a firearm by a convicted felon; (2) the trial court erred in admitting other-act evidence prohibited by OCGA 24-4-404 (b); and (3) his trial counsel rendered ineffective assistance by failing to request a limiting instruction on the other-act evidence. Finding no reversible error, the Georgia Supreme Court affirmed Appellant’s convictions. View "Jenkins v. Georgia" on Justia Law
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Constitutional Law, Criminal Law