Justia Georgia Supreme Court Opinion Summaries
Articles Posted in Georgia Supreme Court
Bulloch v. Georgia
Charles Bulloch was convicted for the murder of Paul McKeen, Jr. On appeal of that conviction, Bulloch argued that the trial court erred in admitting certain testimony, and in denying his motion for a new trial on the grounds of ineffective assistance of counsel. Finding the evidence sufficient to support his conviction, and that Bulloch's trial counsel's performance was "more than adequate," the Supreme Court affirmed his conviction. View "Bulloch v. Georgia" on Justia Law
Brunson v. Georgia
Joseph Brunson was convicted of felony murder in connection with the shooting death of Derek Milton. The trial court instructed the jury on "accident" and "voluntary manslaughter," but refused an instruction on "self-defense." Brunson argued on appeal to the Supreme Court that the trial court erred in refusing the self-defense instruction. Finding that the evidence did not support the self-defense instruction, the Supreme Court concluded the trial court did not err in its refusal. View "Brunson v. Georgia" on Justia Law
Barnes v. Georgia
Appellant Joseph Barnes was found guilty of malice murder in 1993. His conviction was affirmed but his death sentence vacated based on a finding that the trial court improperly restricted the scope of mitigating evidence at sentencing. After remand for resentencing, Appellant moved for a sentencing agreement in exchange for the State's withdrawing the death penalty. In 1999 pursuant to that agreement, Appellant was sentenced to life without parole. Appellant subsequently made a pro se motion for an out-of-time appeal which was denied. He appealed that denial, contending his sentence for malice murder was illegal. In 2012, Appellant asked for appointed counsel to withdraw his plea. Finding that because the sentences were imposed in 1993 and 1999, Appellant's 2012 motion was untimely filed, leaving the trial court without jurisdiction to hear his appeal. The Supreme Court affirmed denial of Appellant's motion. View "Barnes v. Georgia" on Justia Law
Edenfield v. Georgia
David Edenfield was convicted by a jury for murder and several other crimes for his role in the brutal sexual assault and death of six-year-old Christopher Barrios. Edenfield received the death penalty. He unsuccessfully moved for a new trial, and appealed the denial of that motion to the Supreme Court. Finding no reversible error, the Supreme Court affirmed Edenfield's conviction and sentence.
View "Edenfield v. Georgia" on Justia Law
Coe v. Georgia
Willie Coe was convicted for malice murder, possession of a firearm during the commission of a felony, and possession of a firearm as a convicted felon. He challenged the sufficiency of the evidence presented against him at trial, as well as the trial court's denial of his motion for a mistrial. Finding no reversible error, the Supreme Court affirmed his conviction and sentence.
View "Coe v. Georgia" on Justia Law
Armstead v. Georgia
Appellant Craig Armstead was convicted of murder and related offenses for the stabbing death of a co-worker, Kerri Harris. Appellant's defense at trial was that he was guilty by reason of insanity because he was operating under a delusional compulsion. On appeal to the Supreme Court, Appellant argued the trial court erred when it denied his motion in limine and in allowing certain witnesses to testify at trial. Finding no error, the Supreme Court affirmed the denial of the motion. View "Armstead v. Georgia" on Justia Law
Rucker v. Georgia
Stephen LaBrellie Rucker appealed his conviction for the aggravated assault and felony murder of Jeremy Kidd. Rucker asserted the trial court erred in failing to grant his motion for mistrial on the ground that the prosecutor improperly inserted his character into evidence and also erred in refusing to permit his trial counsel to impeach a prosecution witness with proof of a pending indictment against him to show the witness’s bias. Rucker also requested that the case be remanded to the trial court for an evidentiary hearing on the issue of alleged ineffective assistance of trial counsel. Finding no error in the trial court's decision, the Supreme Court affirmed. View "Rucker v. Georgia" on Justia Law
Ross v. Georgia
After a joint trial, appellants Curtis Billings and Matthew Ross (also known as Matthew Wells) were convicted of murder and other crimes related to the shooting death of Joseph Gunn. Appellants contended that the evidence was insufficient to support their convictions. Upon review, the Supreme Court concluded that the evidence presented at trial was sufficient to authorize a rational jury to find appellants guilty beyond a reasonable doubt of all the crimes of which they were convicted and sentenced. The Court affirmed Billings' conviction and sentence, but vacated Ross's sentence and remanded his case for resentencing. View "Ross v. Georgia" on Justia Law
Columbus Board of Tax Assessors v. Yeoman
The trial court in this case ruled that there was no conflict between the 2010 amendment to OCGA 48-5-2 (3) and a 1981 local constitutional amendment providing for the assessment of homestead property in Muscogee County for school and consolidated city-county government taxing purposes. The court further ruled that the 2010 amendment controlled the determination of the fair market value of appellee John Yeoman's recently-purchased homestead property. The Columbus Board of Tax Assessors appeals, but finding no error in the trial court's judgment, the Supreme Court affirmed. View "Columbus Board of Tax Assessors v. Yeoman" on Justia Law
Lewis v. Georgia
Appellants Atu Lewis and Jacque Dominique Clark were convicted of murder and related crimes stemming from a home invasion. Lewis was sentenced to life in prison without parole for malice murder and a term of years for his other crimes. Clark was sentenced to life in prison with parole for felony murder and a term of years for his remaining crimes. On appeal, Lewis claimed the evidence was insufficient to convict him for malice murder and the other charges for which he was convicted based on the fact that the State's key witness was an accomplice to the crime. Clark claimed the evidence was insufficient to convict him on the basis that key witness' testimony was uncorroborated. Finding the evidence sufficient to authorize a rational jury to find appellants guilty beyond a reasonable doubt of all the crimes of which they were convicted and sentenced, the Supreme Court affirmed both appellants' convictions and sentences. View "Lewis v. Georgia" on Justia Law