Justia Georgia Supreme Court Opinion Summaries

Articles Posted in Constitutional Law
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Appellant Nathaniel Wilkins was convicted of two counts of malice murder in connection with the shooting deaths of Forrest Ison and Alice Stevens. He appealed, arguing: (1) the trial court erred by admitting into evidence an alleged adoptive admission and by denying three motions for a mistrial; and (2) his trial counsel provided ineffective assistance by not objecting when the trial court gave an inapplicable jury instruction about accomplice corroboration and defined aggravated assault three times. Finding no reversible error, the Georgia Supreme Court affirmed. View "Wilkins v. Georgia" on Justia Law

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An appeal of Marlina Hamilton’s indictment for the murder of her ex-husband Christopher Donaldson, went before the Georgia Supreme Court three times. After Hamilton was convicted of felony murder and other crimes in connection with Donaldson’s death in 2010, the trial court granted a motion for new trial on the general grounds. The State then brought its first appeal, and the Supreme Court affirmed the trial court’s order. After the State elected to retry Hamilton, she moved for immunity from criminal prosecution based on self-defense under OCGA 16-3-24.2. In connection with that motion, Hamilton also requested that the trial court admit into evidence, for the purposes of deciding whether she was immune from prosecution, the transcripts of her jury trial and of her motion for new trial hearing. The trial court granted that request, over the State’s objection, by written order. The State appealed that order under OCGA 5-7-1 (a) (5) (A), but the Supreme Court dismissed that appeal. The trial court entered an order granting Hamilton’s motion for immunity from criminal prosecution under OCGA 16-3-24.2. The State then appealed Hamilton’s grant of immunity, arguing the trial court erred by considering Hamilton’s immunity motion before retrial; by admitting and relying on the transcripts from Hamilton’s first trial and her motion for new trial to decide Hamilton’s immunity motion; by granting Hamilton’s immunity motion; and by failing to recuse from the case. The Supreme Court held the trial court properly considered Hamilton’s immunity motion before retrial. Furthermore, the Court held that although the trial court abused its discretion by admitting the transcripts of Hamilton’s jury trial and her motion for new trial hearing under OCGA 24-8-804 (b) (1) without making any determination regarding whether the witnesses who provided the testimony in those transcripts were available for the 2019 immunity hearing, the trial court did not abuse its discretion by considering and admitting that evidence under OCGA 24-8-807. And because there was evidence to support the trial court’s determination that Hamilton was justified in using deadly force to defend herself under OCGA 16-3-21, the Supreme Court affirmed the trial court’s order granting Hamilton immunity under OCGA 16-3-24.2. Finally, the Court held the trial court properly rejected the State’s motion to recuse. View "Georgia v. Hamilton" on Justia Law

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In 2017, a jury found Damian McElrath guilty but mentally ill of the felony murder and aggravated assault of his adoptive mother, Diane, whom McElrath killed by stabbing over 50 times in a single episode. Based on the same episode, McElrath was also found not guilty of the malice murder of Diane by reason of insanity. McElrath appealed, contending among other things that the jury’s verdicts were repugnant and that his conviction for felony murder had to be reversed or vacated. McElrath also appealed the trial court’s separate order that, upon his discharge from evaluation at a state mental health facility, he should be placed in the custody of the Department of Corrections. Under the specific facts of this case, the Georgia Supreme Court concluded that McElrath’s verdicts were indeed repugnant. Accordingly, the Court vacated both verdicts and remanded McElrath’s case for a new trial. The Supreme Court also vacated the trial court’s order placing McElrath in the Department of Corrections’s custody pursuant to the verdicts which now vacated. View "McElrath v. Georgia" on Justia Law

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In 2016, a jury found Devin Sawyer guilty of felony murder and other crimes in connection with the death of Michael Weeks, Jr. Sawyer appeals, contending that his trial counsel rendered constitutionally ineffective assistance because counsel: (1) did not object to a witness’ purported comments on Sawyer’s credibility; (2) did not object to testimony that allegedly placed Sawyer’s character into evidence; and (3) did not object to hearsay testimony involving statements made by Weeks’ mother. Because the Georgia Supreme Court determined that Sawyer’s counsel did not render ineffective assistance to Sawyer, it affirmed his conviction. View "Sawyer v. Georgia" on Justia Law

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Appellant Rickey Westbrook appealed his convictions for malice murder and possession of a firearm during the commission of a felony stemming from the 2015 shooting death of Harry Wells. Westbrook contended, among other things, that the trial court erred by denying his motion to suppress evidence recovered from his cell phone, by denying his motion to suppress a witness’s identification of him during a photographic lineup, and by ruling that the recording of his call from jail to a friend was admissible. Concluding that Westbrook’s contentions were without merit, the Georgia Supreme Court affirmed. View "Westbrook v. Georgia" on Justia Law

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Omari Smith was convicted of felony murder and other crimes in connection with the shooting death of T’Shanerka Smith (no relation). On appeal, Smith contended the evidence was insufficient to support his convictions; that the trial court erred by denying his motion for a separate trial; that trial counsel rendered constitutionally ineffective assistance by failing to object to the court’s jury charge on conflicts in testimony; and that the trial court erred in denying Smith’s motion for a continuance of the hearing on his motion for new trial. The Georgia Supreme Court disagreed and therefore affirmed Smith’s convictions. View "Smith v. Georgia" on Justia Law

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After a 2009 jury trial, Damon Bamberg and his mother, Sonya Bamberg, were convicted of murder and other offenses arising out of the shooting death of Damon’s ex-wife, Allison Nicole “Nikki” Bamberg. They appealed, claiming error in the reconstruction of a missing transcript of the first day of trial and in the denial of their motions to reopen the evidence to submit a transcript of a “true crime” television show. In addition, Damon claimed the evidence was insufficient to support his conviction, and the admission of a statement made by Sonya was made in error. Sonya claimed the trial court impermissibly commented on the evidence and the credibility of witnesses. Finding no reversible error, the Georgia Supreme Court affirmed the convictions. View "Bamberg v. Georgia" on Justia Law

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Sylvester Richardson was convicted by jury of murder and other crimes relating to the fatal shooting of Christopher Wilson. He appealed, claiming that the trial court erred when it denied a motion for a mistrial and when it admitted evidence that he was involved in a gang. Richardson also contended he received ineffective assistance of counsel. Upon review of the record and briefs, the Georgia Supreme Court found no error and affirmed. View "Richardson v. Georgia" on Justia Law

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Antonio Taylor was convicted by jury of murder and other crimes in connection with the stabbing death of Araminta Elly. On appeal, he argued the trial court erred when it admitted certain hearsay testimony and when it denied his motion for a mistrial based on the prosecution’s alleged use of his pre-arrest silence. Finding no reversible error, the Georgia Supreme Court affirmed. View "Taylor v. Georgia" on Justia Law

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LaParrish London was convicted by jury of the malice murder of Eric Terrell. On appeal, he argued: (1) the evidence was insufficient to support his conviction; (2) the trial court erred in denying his motion for new trial; (3) the trial court erred in admitting hearsay; and (4) his trial counsel was ineffective. Upon review, the Georgia Supreme Court found no reversible error and affirmed London’s conviction. View "London v. Georgia" on Justia Law