Justia Georgia Supreme Court Opinion Summaries
Articles Posted in Criminal Law
Wallace v. Georgia
Jamad Jacque Wallace appealed his convictions for murder and other crimes arising from the fatal shooting of Alex Delgado-Ramos (“Delgado”) in a drug store parking lot. Wallace argued on appeal to the Georgia Supreme Court that the trial court erred by: (1) failing to conduct an adequate inquiry prior to replacing a holdout juror with an alternate; and (2) informing the jury that two witnesses were held in contempt for refusing to testify on behalf of the State. He also argued his trial counsel was ineffective for failing to prepare adequately for cross-examination of the State’s primary witness. To the extent that Wallace has preserved these claims for appellate review, the Supreme Court found they lacked merit and affirmed his convictions. View "Wallace v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
De La Cruz v. Georgia
Appellant Eduardo De La Cruz was tried and convicted of the 1996 murder of Brenda Gibbs. On appeal, Appellant claimed four instances of trial court error and two claims of error by the motion for new trial court. Finding no reversible error after review of the trial court record, the Georgia Supreme Court affirmed. View "De La Cruz v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Stork v. Georgia
Appellant Samuel Stork was convicted of malice murder in connection with the 2014 shooting death of Rodney Pate. In this appeal, he claimed the evidence was insufficient to support his conviction and that his trial counsel provided ineffective assistance by failing to call a witness. The Georgia Supreme Court determined neither of these claims had merit, so the Court affirmed. View "Stork v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Veal v. Georgia
Robert Veal was convicted for crimes committed in the course of two armed robberies on November 22, 2010. After a jury found Veal guilty of malice murder and other offenses charged in the indictment against him, the trial court sentenced him to imprisonment for life without parole (“LWOP”) for malice murder; six consecutive life sentences for rape, aggravated sodomy, and four armed robbery convictions; and sentences totaling 60 consecutive years for other convictions involved in the case. Veal argued in his first appeal that because he was under 18 years of age at the time of his crimes, his LWOP sentence was improperly imposed. The Georgia Supreme Court agreed; the trial court made no determination on the record with respect to whether Veal was “irreparably corrupt or permanently incorrigible, as necessary to put him in the narrow class of juvenile murderers for whom an LWOP sentence was proportional under the Eighth Amendment.” Accordingly, the Court vacated the LWOP sentence and remanded the case for resentencing on that count. At the sentencing hearing the trial court conducted on remand, the State announced it would forgo seeking LWOP and, instead, asked the court to impose two additional consecutive life with parole sentences (for the malice murder conviction and one of the armed robbery counts that the trial court previously incorrectly merged with the murder conviction) in addition to the other consecutive life sentences already imposed. Veal introduced published life expectancy tables to support his assertion that the recommended sentence would exceed his life expectancy. The trial court, however, rejected Veal’s assertion that this would amount to a de facto life without parole sentence, and imposed the State’s recommended sentence without making an individualized determination regarding the appropriateness of the sentence pursuant to Miller. Finding no reversible error to this sentence, the Supreme Court affirmed. View "Veal v. Georgia" on Justia Law
Walton v. Georgia
Following a jury trial, Kynodious Walton appealed his convictions for felony murder and aggravated assault with a deadly weapon, among other crimes, contending that he received ineffective assistance of trial counsel and that the trial court made certain erroneous evidentiary rulings. Finding no reversible error with respect to the convictions themselves, the Georgia Supreme Court affirmed. But discovering an error in the calculation of his sentence, the Supreme Court vacated the sentence and remanded for resentencing. View "Walton v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Goodrum v. Georgia
Demario Goodrum was found guilty by jury of felony murder and related offenses in connection with the shooting death of Tarvanisha Boyd. In this appeal, Goodrum argued the trial court violated his constitutional right to be present at all critical stages of his trial, and that he received ineffective assistance of trial counsel. Finding no reversible error, the Georgia Supreme Court affirmed. View "Goodrum v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
McClain v. Georgia
Aaron McClain was tried by jury and convicted of murder and other crimes in connection with the shooting death of his wife, Betty Mulbah McClain, and the wounding of his 12-year-old stepdaughter, T.S. McClain appealed, contending: (1) the evidence was legally insufficient to sustain his convictions; (2) that the trial court erred when it failed to instruct the jury on the principle of accident and misfortune; and (3) that the court erred when it admitted certain evidence at trial. After reviewing the record and briefs, the Georgia Supreme Court found no reversible error, and affirmed. View "McClain v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Franklin v. Georgia
This case presented the issue of whether a trial court has authority to dismiss a prosecutor’s notice of intent to seek the death penalty prior to trial. Appellant Tracen Franklin was eighteen years old at the time of the events involved in this case. He was one of four young men indicted for malice murder and felony murder (predicated on aggravated assault) for beating and kicking to death Bobby Tillman after a teen party. Several trial witnesses identified Franklin as one of three others who joined in, and the four men severely beat, kicked, and stomped Tillman, who was later pronounced dead at the hospital as a result of a ruptured right ventricle of the heart caused by blunt impact. After a period of jury deliberation, the trial court declared the jury to be deadlocked on the issue of punishment. The trial court then sentenced Franklin to life without parole. The trial court denied Franklin’s motion for new trial. On appeal, Franklin claimed the prosecutor sought the death penalty in this case in bad faith, in an attempt to improve the odds of a conviction by seating a death-qualified jury. Even though the death penalty was not imposed, Franklin argued the Georgia Supreme Court should have granted a new trial where a bad-faith purpose for seeking the death penalty is shown. He argued that bad faith was demonstrated in this case because, pursuant to the notice of statutory aggravating circumstances and the evidence the State could (and ultimately did) present in support of these circumstances, he was not eligible for the death penalty as a matter of law. The Supreme Court determined the issue raised by Franklin’s appeal had been decided adversely to appellant’s position, and the Court was not persuaded to change its longstanding ruling on the issue. View "Franklin v. Georgia" on Justia Law
Brown v. Georgia
Appellant Melvin Brown Jr. was tried and convicted of murder and related offenses committed against Javious Tucker and Cyntrelis Boggs. Brown appealed, claiming that the evidence was insufficient to support his convictions, that he received ineffective assistance of counsel, that other acts evidence was erroneously admitted at trial, and that the trial court erroneously failed to grant Brown’s motion for a mistrial. Because the Georgia Supreme Court found the trial court committed reversible error by admitting Brown’s other acts evidence, it reversed and remanded for a new trial. View "Brown v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Miller v. Georgia
Appellant Tonya Miller appeals her convictions for malice murder and concealing the death of another relating to the death of Cheryl Miranda. Appellant challenged the sufficiency of the evidence presented against her at trial, and that the trial court erred in admitting certain hearsay evidence. Finding no reversible error, the Georgia Supreme Court affirmed Miller’s conviction. View "Miller v. Georgia" on Justia Law
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Constitutional Law, Criminal Law