Justia Georgia Supreme Court Opinion Summaries

Articles Posted in Criminal Law
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Appellant Antwan "Rico" Jackson filed an out-of-time appeal to challenge his 2010 convictions for felony murder and attempted cocaine trafficking in connection with the shooting death of Christopher Hoskin. Appellant contended: (1) the evidence was insufficient to support his convictions; (2) the trial court erred in failing to quash the two counts of the indictment on which he was convicted; (3) the court erred in allowing the State in closing argument to denigrate defense counsel and to vouch for a prosecution witness; and (4) the court committed plain error in failing to instruct the jury that a sentence of life imprisonment was mandatory if the jury found him guilty of either of two murder charges. After review, the Georgia Supreme Court affirmed in part and vacated in part. The Court found: the evidence was legally sufficient to support Appellant’s convictions, but the trial court erred in entering a judgment of conviction and sentence on the guilty verdict for attempted cocaine trafficking, which merged into the related felony murder conviction. Further, Appellant failed to preserve for appellate review his claims relating to the indictment and the State’s closing argument by not raising them at the appropriate time in the trial court, and the Court previously held that it was not plain error for a trial court not to charge the jury that a sentence of life imprisonment is mandatory if the jury finds the defendant guilty of either malice murder or felony murder. Accordingly, Appellant’s conviction and sentence for attempted cocaine trafficking was vacated; judgment was affirmed in all other respects. View "Jackson v. Georgia" on Justia Law

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Appellant Shane Hinkson appeals from his conviction for felony murder predicated on aggravated assault stemming from the death of his eight-month-old son, Alexander Cabanayan. On appeal, Hinkson argued the jury returned invalid verdicts, his indictment was defective, and that the trial court erred in admitting into evidence a pre-trial statement he made to police and evidence of a gun found in his apartment. After review, the Georgia Supreme Court found no reversible error and affirmed Hinkson's conviction. View "Hinkson v. Georgia" on Justia Law

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Appellant Donnel Rawls was convicted of malice murder and feticide in connection with the killing of his pregnant girlfriend, Amber Beckwith. Appellant argued on appeal that his convictions were not supported by the evidence presented at his trial, that hearsay evidence of his prior abuse of Beckwith was improperly admitted, that the jury was improperly instructed on flight, and that his trial counsel provided ineffective assistance. Finding no reversible error, the Georgia Supreme Court affirmed. View "Rawls v. Georgia" on Justia Law

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Appellant Charmane Goins was convicted of malice murder in connection with the strangling death of Lauren Taylor. The trial court summarily denied his motion for new trial. In a prior appeal, the Georgia Supreme Court held that the evidence presented at Appellant’s trial was legally sufficient to support his murder conviction, but it otherwise vacated the trial court’s order and remanded the case for the court to make factual findings and legal conclusions regarding Appellant’s claim that his constitutional right to a speedy trial was violated; the Supreme Court did not address his other claims. On remand, the trial court issued a detailed order rejecting the speedy trial claim, and again denying Appellant's motion for a new trial. On second appeal, Appellant raised the speedy trial claim, along with claims that the State failed to preserve allegedly exculpatory evidence and that the trial court erred by admitting evidence from his cell phone, by denying his motion for a mistrial, and by excluding evidence about the victim. Finding no reversible error, the Supreme Court affirmed his conviction. View "Goins v. Georgia" on Justia Law

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Vincent Harris was convicted by jury of the malice murders of Tina Green-Hall and her six-year-old son, Jeremy Green-Hall. On appeal, Harris argued the trial court abused its discretion by admitting certain evidence and committed plain error by failing to give the jury a limiting instruction regarding that evidence. Harris also contended his trial counsel rendered constitutionally ineffective assistance in various respects. Seeing no reversible error after a review of the trial court record, the Georgia Supreme Court affirmed his conviction. View "Harris v. Georgia" on Justia Law

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Appellant Christopher Middleton was convicted by jury of felony murder for the shooting death of Wesley Bryant. Middleton contended on appeal that the evidence was insufficient to support his conviction, that the count of the indictment charging him with felony murder based on armed robbery was void because it did not allege the essential elements of armed robbery, and that the trial court erred in refusing to charge the jury on self-defense. Seeing no reversible error, the Georgia Supreme Court affirmed his conviction. View "Middleton v. Georgia" on Justia Law

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The Georgia Supreme Court granted certiorari review in this matter to determine whether the trial court had jurisdiction to modify a sentence outside the one-year period after a sentence was imposed, as authorized under OCGA 17-10-1 (f), when the motion to modify was filed within the one-year period. The Court of Appeals held in Gray v. Georgia, 832 SE2d 857 (2019), that trial courts lacked jurisdiction after one year, irrespective of when the motion to modify sentence is filed. After the enactment of OCGA 17-10-1 (f) in 2001, despite the change in language from previous statutes, the Supreme Court found the Court of Appeals continued to follow the common-law rule as to motions filed within the term of court or before the statutory deadline. "The key question, then, is whether the addition of the word 'jurisdiction' to the statute’s grant of 'power and authority' to the trial court clearly overrides the common-law rule, and we conclude that it does not." Moreover, the Supreme Court disagreed with the Court of Appeals that the legislature rejected the common-law rule because the legislature did not expressly write the common-law rule into the current version of the statute. The Court, thus, concluded that the text of OCGA 17-10-1 (f) did not expressly or by necessary implication contravene the common-law rule, and the Court of Appeals erred in determining otherwise. Judgment was reversed and the matter remanded for further proceedings. View "Gray v. Georgia" on Justia Law

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Appellant Horace Coates appealed his convictions for malice murder and other crimes in connection with the shooting death of Adrian Brooks and aggravated assault of Senchael Clements following an illicit drug purchase gone bad. In his sole enumeration of error on appeal, Coates contended the evidence was legally insufficient to support his convictions. Finding no reversible error, the Georgia Supreme Court affirmed Coates' convictions. View "Coates v. Georgia" on Justia Law

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Layton Lester was convicted of malice murder and other crimes in connection with the shooting death of Lorrine Bozeman. Bozeman, who lived in a house with her mother and who was fifteen-year-old Lester’s great aunt, received a large amount of cash that she was planning to use to buy a piece of property. On the evening of April 29, 2007, Lester was at co-indictee Shurrod Rich’s house. Rich’s brother was present and heard Lester suggest to Rich that they “go rob” Bozeman, telling Rich that they could get $5,000 from the robbery. Between 10:00 and 10:30 p.m. on the same evening, Bozeman’s front door was kicked in and she was shot twice. Bozeman’s sister, Vernel Clay, who lived several houses away, heard the gunshots and saw two people running through her backyard afterwards. When Rich and Lester returned to Rich’s house, Rich’s brother observed that Lester had changed into black clothes, was breathing hard, was nervous, and later had cash to spend for food. Rich and Lester told Sean Ross, a friend of theirs who lived in the area, that they had robbed and shot Bozeman and that she had screamed. After Lester’s mother overheard Lester talking on the phone and noticed that he was acting nervous and scared, she grew concerned and approached law enforcement. The jury would find Lester guilty on all counts, and he was ultimately sentenced to life in prison for malice murder, a concurrent term of 20 years for armed robbery, and terms of 20 years for burglary to run consecutively to the murder sentence and 5 years for the firearm count to run consecutively to the burglary sentence. The felony-murder counts were vacated by operation of law. On appeal, Lester contends that the trial court erred in admitting statements he made to law enforcement after Bozeman’s death and in denying his “motion for mistrial” arising from the presence of an alternate juror during jury deliberations. Finding no reversible error, the Georgia Supreme Court affirmed. View "Lester v. Georgia" on Justia Law

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Quentin Lee Horton was convicted of malice murder, arson in the first degree, and related crimes in connection with the stabbing death of his neighbor Jeffrey Hagan and the burning of Hagan’s home. Horton was sentenced to serve life in prison plus five years without the possibility of parole, and he appealed, asserting five enumerations of error. Finding no merit to any of these contentions, the Georgia Supreme Court affirmed conviction and sentence. View "Horton v. Georgia" on Justia Law