Justia Georgia Supreme Court Opinion Summaries
Articles Posted in Criminal Law
Glenn v. Georgia
A jury found appellant Delron Glenn guilty of malice murder in connection with the shooting death of John Tanner. Glenn appealed, arguing: (1) the trial court erred in denying his motion in limine to prevent lay witness identification testimony; (2) the trial court erred in denying his motion to suppress the search of his sister’s apartment because the magistrate judge lacked probable cause to issue the search warrant; (3) the trial court erred in denying his motion to suppress a cell phone seized during that search, and; (4) his trial counsel was ineffective for failing to identify and redact references to Glenn’s gang affiliation that were contained in a co-defendant’s video-taped statement which was played for the jury. Finding no error, the Georgia Supreme Court affirmed. View "Glenn v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Olevik v. Georgia
This case calls for the Georgia Supreme Court to decide whether Georgia’s state constitutional protection prohibited law enforcement from compelling a person suspected of DUI to blow their deep lung air into a breathalyzer. “A nearly unbroken line of precedent dating back to 1879 leads us to conclude that it does, although the appellant here still loses because the language of the implied consent notice statute he challenges is not per se coercive.” Frederick Olevik was convicted of DUI less safe, failure to maintain a lane, and no brake lights. Olevik appealed, challenging the denial of his motion to suppress the results of a state-administered breath test on the grounds that the implied consent notice statute, OCGA 40-5-67.1 (b), was unconstitutional on its face and as applied to him. Olevik argued: (1) that his right against compelled self-incrimination was implicated when law enforcement asked him to expel deep lung air into a breathalyzer; (2) that the materially misleading language of the implied consent notice was coercive per se and in fact did compel him to perform this act; thus (3) the admission of his breath test results violated his right against compelled self-incrimination under the Georgia Constitution and his due process rights. The Supreme Court agreed with Olevik that submitting to a breath test implicates a person’s right against compelled self-incrimination under the Georgia Constitution, and it overruled prior decisions that held otherwise. The Court nevertheless rejected Olevik’s facial challenges to the implied consent notice statute, because the language of that notice was not per se coercive. View "Olevik v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
McNeal v. Georgia
Appellant Demetrius McNeal was tried by jury and found guilty of malice murder, felony murder, aggravated assault, criminal attempt to commit robbery, possession of a firearm during the commission of a felony, and possession of a firearm by first offender probationer. The charges stemmed from the 2010 shooting death of William Callison and the attempted robbery of David Reid. McNeal appealed, arguing the trial court erred in commenting on the evidence and in refusing to give his requested jury instruction on accident. Finding no error, the Georgia Supreme Court affirmed. View "McNeal v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Faust v. Georgia
Following the denial of his motion for new trial, Andray Faust appealed his convictions for felony murder while in the commission of an aggravated assault and possession of a firearm during the commission of a felony in connection with the 2006 fatal shooting of Marcellous Brown. He challenged the sufficiency of the evidence, an evidentiary ruling, aspects of the trial court’s instructions to the jury, and the effectiveness of his trial counsel. Finding no reversible error, the Georgia Supreme Court affirmed his convictions. View "Faust v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Carter v. Georgia
Appellant D’Andre Carter was convicted of malice murder and associated crimes in connection with the 2013 shooting death of Dequavious Reed. On appeal, Carter argued: (1) the evidence was insufficient to sustain his convictions; (2) the trial court erroneously admitted a portion of a recorded conversation which captured the statements of a third party who did not testify at trial; and (3) the trial court erroneously admitted a recording of a jailhouse telephone call made by Carter. Finding no reversible error, the Georgia Supreme Court affirmed. View "Carter v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Smith v. Georgia
Appellant Luther Smith, Jr. was convicted of felony murder and other crimes in connection with the February 2007 death of fifteen-month-old Deandra Turner. Smith appealed, arguing the evidence presented against him at trial was insufficient to sustain his conviction, and the trial court erred in admitting certain expert testimony. Because the evidence was sufficient to enable a jury to determine that Smith was guilty of the crimes for which he was convicted, and because the testimony in question was admissible, the Georgia Supreme Court affirmed. View "Smith v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Johnson v. Georgia
A jury found Craig Johnson guilty of malice murder and other crimes related to the 2008 stabbing death of Nicole Judge. All of the original verbatim trial transcript materials were later destroyed in a fire at the court reporter’s house. The State ultimately provided Johnson with a 14-page, double-spaced document purported to be a complete narrative recreation of the trial transcript. As part of its review, the Georgia Supreme Court reviewed the narrative at issue and found the recreated transcript was not sufficiently detailed to allow Johnson a fair opportunity to appeal or to allow meaningful appellate review. The Court therefore reversed the trial court’s denial of Johnson’s motion for new trial and remanded this case for further proceedings. View "Johnson v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Freeman v. Georgia
David Freeman was found guilty by jury on one count of disorderly conduct, pursuant to OCGA 16-11-39(a)(1). Freeman attended a church service, whereby instead of praying for teachers and students for a successful start to the school year, Freeman raised his middle finger in the air and stared angrily at the pastor. The pastor testified that he felt afraid for his own safety. As people left the sanctuary, Freeman began yelling about sending children off to the evil public schools and having them raised by Satan. As Freeman yelled, the music minister at the church turned up the music in an effort to drown him out, and Freeman then left the sanctuary. Freeman was later sentenced to twelve months of probation and ordered to pay a $270 fine. On appeal, Freeman contended the statute was unconstitutionally vague and overbroad, and his conviction, therefore, should not stand. After review, the Georgia Supreme Court reversed Freeman’s conviction, but for different reasons. The Court found Freeman raised his middle finger as a form of protest, and there is no evidence that Freeman engaged in additional threatening conduct that would have elevated his raised middle finger to the level of conveying “fighting words” or a “true threat.” The evidence reveals that he stared angrily at the pastor, but did nothing more while he raised his middle finger in silence from the back of the church. This would not rise to the level of “fighting words” or a “true threat” as a matter of law. View "Freeman v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Taylor v. Georgia
Appellant Mark Taylor appealed his convictions related to the 2012 death of Charles Weaver. Appellant entered the parking lot of a car dealership and saw a truck that had its engine running and the lights on. Seeing no one in the car, appellant jumped in and threw the vehicle in reverse. Weaver worked at the dealership, and tried to stop appellant from stealing the vehicle. Weaver started dialing the police on his cell phone, but appellant got out of the truck, pulled a gun and forced Weaver to stop the call. Appellant forced Weaver to walk towards the building, then shot him. The victim attempted to run away and hide inside the building, but appellant followed him and shot him a second time. Appellant then fled in the truck, taking the victim’s cell phone and pocket knife with him. A significant portion of appellant’s encounter with the victim was caught on the dealership’s video surveillance system. The victim was found deceased by a coworker. The medical examiner testified the victim died from a bullet that entered and exited his arm and then re-entered his body through his chest, damaging his lungs and a major artery to his heart such that he bled to death. Police tracked the stolen vehicle to an apartment complex in Atlanta, used the apartment’s surveillance system to link appellant to the truck, and found appellant in an apartment with some of his relatives. As appellant was arrested, he admitted to the shooting. Nevertheless, appellant alleged the evidence presented against him was insufficient to sustain his convictions, and that errors at trial warranted a new trial. Finding no error, the Georgia Supreme Court affirmed appellant’s convictions. View "Taylor v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Moran v. Georgia
Appellant Misty Sunshine Moran appealed her convictions malice murder, felony murder (attempt to rob), felony murder (aggravated assault), criminal attempt to commit armed robbery, conspiracy to commit a crime, aggravated assault (with a deadly weapon), aggravated assault (with intent to rob), aggravated assault (with intent to murder), four counts of possession of a firearm during the commission of a crime, possession of a firearm by a convicted felon, and two counts of participation in criminal street gang activity. Appellant and her friends conspired to rob a taxi driver. Appellant called for a taxi to pick her up, while her friends followed the taxi in a separate car which was to serve as the “getaway” vehicle. During the ride, appellant pulled a gun on the victim and demanded money. When the victim begged for his life and then attempted to exit the vehicle, appellant shot him in the back of the head. Although shot, the victim’s foot remained on the gas pedal and the vehicle continued to move, eventually crashing into a tree in a wooded area off the road. Appellant exited the vehicle before it crashed. When appellant met up with her friends again, she tried to get them to collect any money inside the taxi, but they refused to do so upon seeing the carnage at the crash site. The group then decided to burglarize a home. Later that night, appellant and one of her compatriots hid the gun under a cement slab in appellant’s driveway; however, appellant eventually returned the gun, which was a 9 millimeter gun, to the person from whom she had borrowed it. On appeal to the Georgia Supreme Court, appellant argued the evidence was insufficient to sustain her convictions, and that the trial court erred in certain evidentiary rulings. Finding no reversible error, the Supreme Court affirmed appellant’s convictions. View "Moran v. Georgia" on Justia Law
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Constitutional Law, Criminal Law