Justia Georgia Supreme Court Opinion Summaries

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Todd Goff was convicted of malice murder for killing his girlfriend, Tiffany Salter. The trial court granted Goff a new trial on the basis that his trial counsel rendered ineffective assistance by: (1) advising Goff not to testify; (2) failing to move for a mistrial after the jury heard that Goff was on probation; and (3) failing to introduce Goff’s booking photos. The State appealed. Because the trial court erred in finding that Goff’s trial counsel performed deficiently in any of these respects, the Georgia Supreme Court reversed. View "Georgia v. Goff" on Justia Law

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Vivian Corley was conned by jury of murder, aggravated assault, and the unlawful possession of a firearm during the commission of a felony in connection with the fatal shooting of Lorraine Manuel. Corley appealed, claiming that the evidence was insufficient to support her convictions, that she previously had been acquitted of murder with malice aforethought and could not be retried for that crime, that the trial court erred when it excluded certain evidence, and that the prosecuting attorney made improper comments to the jury. Upon review of the record and briefs, the Georgia Supreme Court found no reversible error related to these claims. The Court did note, however, that the trial court erred when it failed to merge the aggravated assault into the murder. The Court therefore vacated the conviction and sentence for aggravated assault, but otherwise affirmed. View "Corley v. Georgia" on Justia Law

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Eric Simmons was convicted by jury for murder and the possession of a firearm during the commission of a felony. Simmons argued the evidence presented at trial was insufficient to support his convictions and that the trial court erred by not granting his motion for a mistrial following “emotional outbursts” from the victim’s family and friends. Finding no reversible error, the Georgia Supreme Court affirmed Simmons' convictions and sentence. View "Simmons v. Georgia" on Justia Law

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Marcus Moore pled guilty to, and was convicted of murder. He moved for an out-of-time appeal. The trial court later sua sponte dismissed Moore’s notice of appeal from the order denying his motion for an out-of-time appeal, based on its determinations that the judgment was not then appealable and that the questions presented had become moot. Moore filed a timely notice of appeal of the dismissal order. Because trial courts are not authorized to dismiss appeals for the reasons given in the dismissal order, the Georgia Supreme Court reversed that order. And because the record reflected that the trial court failed to conduct a factual inquiry into the allegations in Moore’s motion for an out-of- time appeal, as required under the circumstances, the Supreme Court vacated the order denying his motion for an out-of-time appeal and remanded to the trial court for consideration of the merits of the motion. View "Moore v. Georgia" on Justia Law

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Rosano Bundel appealed his convictions for malice murder and possession of a firearm during the commission of a felony in connection with the 2011 shooting death of George Tabetando. Bundel argued that the weight of the evidence did not support his convictions and that the trial court erred in denying his motion for a new trial without conducting a hearing. Finding the evidence entered into the trial court record sufficient to support Bundel's conviction, the Georgia Supreme Court affirmed. Furthermore, the Court determined Bundel's second claim was also without merit because a trial court is required to hold a hearing on a motion for new trial only when one is requested, and Bundel did not do so. View "Bundel v. Georgia" on Justia Law

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Demarquis Glenn was convicted by jury for the murder of Quantieria Knight, and possessing a firearm during the commission of a felony. On appeal, Glenn argued the trial court abused its discretion when it denied his motion to suppress certain evidence. Finding n reversible error, the Georgia Supreme Court affirmed conviction. View "Glenn v. Georgia" on Justia Law

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Robert Wilson was convicted by jury for the murder of his infant son. As appeal. He challenged the sufficiency of the evidence, specifically that the evidence presented against him was entirely circumstantial, and that the evidence did not exclude his reasonable hypothesis that the victim's mother fatally injured their son. After review of the trial court record, the Georgia Supreme Court disagreed and affirmed conviction. View "Wilson v. Georgia" on Justia Law

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The Georgia Supreme Court granted Joseph Watkins’ application for a certificate of probable cause to appeal a superior court order dismissing Watkins’ second petition for writ of habeas corpus. The issue presented for the Georgia Supreme Court's review centered on whether the habeas court properly dismissed Watkins’ petition as both untimely and successive. After review, the Supreme Court concluded the habeas court erred in dismissing Watkins’ petition, and reversed and remanded for further proceedings. View "Watkins v. Ballinger" on Justia Law

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Charles “Dre” Mattox was tried by jury and convicted of murder and other crimes in connection with the fatal shootings of Dewayne Bacon and John Bacon. Mattox appealed, claiming: (1) the evidence was insufficient to support his convictions; (2) he was denied the effective assistance of counsel; and (3) his due process rights were violated by a lengthy delay in the disposition of his motion for new trial. Upon its review of the record and briefs, the Georgia Supreme Court found no reversible error and affirmed. View "Mattox v. Georgia" on Justia Law

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In March 2018, Paul Remy was tried for murder and other crimes related to the shooting death of Jenario Stark. After the jury had deliberated for a full day without reaching a verdict, the trial court declared a mistrial. Four days later, Remy filed a motion for immunity from prosecution under OCGA 16-3-24.2, arguing that he shot Stark in defense of himself and others. Before the hearing on the immunity motion occurred, the State re-indicted Remy for the same incident, omitting a count of aggravated assault and adding a second charge of possession of a firearm by a convicted felon. After the hearing, the trial court granted Remy immunity. The court then dismissed the new indictment on the ground that it was issued after a court-ordered deadline for the filing of new indictments. On appeal, the State raised three alleged errors: (1) Remy was not entitled to file a motion for immunity after a mistrial; (2) even if an immunity motion may be considered after the declaration of a mistrial, Remy was not entitled to immunity on the merits; and (3) the trial court erred when it dismissed the second indictment. Because the trial court failed to provide a legal basis for dismissing the charges in the second indictment, the Georgia Supreme Court reversed that ruling. Furthermore, the Court vacated the felon-in-possession charge for the trial court to conduct further analysis in light of Johnson v. Georgia, Case No. S19A1404, 2020 WL 966592 (Feb. 28, 2020). The Court affirmed as to all other issues. View "Georgia v. Remy" on Justia Law