Justia Georgia Supreme Court Opinion Summaries
Harris v. Georgia
Ricardo Harris was found guilty by jury of murder and concealing the death of another in connection with the death of Yvonne James. Harris contended on appeal that the trial court erred in admitting his pre-trial statements into evidence, and that trial counsel was ineffective for allowing him to give an incriminating custodial statement. Finding no reversible error, the Georgia Supreme Court affirmed the judgment of conviction. View "Harris v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Swims v. Georgia
Jesse Swims was convicted by jury of malice murder and other crimes in connection with the death of Deborah “Debbie” Leigh Clemenson. Swims appealed, contending that the trial court erred in denying his motion for mistrial. Finding no error, the Georgia Supreme Court affirmed. View "Swims v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Floyd v. Georgia
Louis Floyd, Jr. and Tara Lee Harrell were convicted by jury of murder and other offenses in connection with the death of William Jackson. Floyd argued on appeal that the trial court erred by not granting his motion to sever the trial and by failing to charge the jury on justification, and that his trial counsel provided ineffective assistance. Harrell argued the evidence presented by the State against her was insufficient to support the verdicts, and that the trial court should have granted her motion for directed verdict. Finding no error, the Georgia Supreme Court affirmed. View "Floyd v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Gaston v. Georgia
In October 2016, a jury found Lerenzo Gaston guilty of felony murder and other crimes in connection with the shooting death of Terrance Walker. Gaston appealed, contending he received ineffective assistance of trial counsel because counsel: (1) did not request a jury charge on justification; (2) did not object to the State’s closing argument referencing evidence outside the record; (3) did not object to the admission of a prior consistent statement; and (4) did not introduce evidence that a witness initially denied seeing Gaston shoot Walker. Finding no error, the Georgia Supreme Court affirmed. View "Gaston v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Driver v. Georgia
Frederick Driver was convicted of felony murder and possession of a firearm during the commission of a felony in connection with the 2017 shooting death of Randy Diamond. On appeal, Driver contended only that the trial court erred in admitting into evidence an admission he made to police while in custody. The Georgia Supreme Court disagreed with this contention and affirmed the conviction. View "Driver v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Georgia v. Stephens
In a pending murder case involving multiple defendants, the State appealed an order denying its pretrial motion to admit a witness’s out-of-court statement by reason of necessity because the witness, Harry Dimeco, was dead. The trial court ruled that the statement was inadmissible under Crawford v. Washington, 541 U.S. 36 (2004), based on the court’s determinations that the witness’s statement was testimonial in nature and that the defendants were not afforded the opportunity to cross-examine the witness prior to his death. On appeal, the State conceded that the statement at issue was testimonial because, when given, the statement was going to be used for prosecution purposes. The State also conceded that the defendants had no meaningful opportunity to cross-examine the witness. The State argued, however, that notwithstanding Confrontation Clause concerns, the statement could be admitted for a non-hearsay purpose, specifically, explaining the witness’s conduct as depicted in a video recording that the State intended to offer. The Georgia Supreme Court reviewed the trial court’s grant or denial of a motion in limine for abuse of discretion, and finding none, the Supreme Court affirmed. View "Georgia v. Stephens" on Justia Law
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Constitutional Law, Criminal Law
Flowers v. Georgia
Appellant Jasento Flowers was convicted by jury of the malice murder of his ex-wife, Bridgette Flowers, by shooting her with a handgun, and of the aggravated assaults of Tearro Moore, Ranoda Hammonds, Jamesia Williams, and Onterio Smith, by shooting at them with a handgun. He appealed, contending that the trial court erred in admitting evidence of a prior altercation with Bridgette, and in admitting a photograph of her brain, taken during the autopsy. Finding no reversible error, the Georgia Supreme Court affirmed. View "Flowers v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Davis v. Georgia
Carlton Davis was convicted of felony murder in connection with the death of Lakeitha Sims. On appeal, Davis argued: (1) the trial court erred by admitting a statement he made to a detective that Davis contended he did not freely and voluntarily make; (2) the trial court erred by improperly admitting into evidence a letter that Davis contends violated his reasonable expectation of privacy under the Fourth Amendment; and (3) Davis’s due process rights were violated because of the 14-year delay between Davis’s jury verdict and the trial court’s denial of his motion for new trial. Finding no reversible error, the Georgia Supreme Court affirmed the trial court’s denial of Davis’s motion for new trial. View "Davis v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
Doyle v. Georgia
Matthew Doyle was convicted by jury for the murder of Lyndon “Pookie” Tucker, and for the possession of a firearm during the commission of a felony. On appeal, he contended the evidence was insufficient to support his conviction and that the trial court erred by failing to charge the jury on the requirement for corroboration of accomplice testimony. Because the Georgia Supreme Court concluded the trial court plainly erred by failing to give the accomplice-corroboration charge, it reverse. The Court did not address Doyle’s remaining enumerations of error. View "Doyle v. Georgia" on Justia Law
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Constitutional Law, Criminal Law
White v. Georgia
Dakota White appealed his convictions for malice murder and other crimes, stemming from the death of Samuel Poss. A juvenile at the time of his crimes, White alleged errors both in the admission of his confession and in the trial court’s decision to sentence him to life without parole. After review, the Georgia Supreme Court concluded White did not show the trial court committed any reversible error under existing precedent with respect to either decision. Accordingly, the Court affirmed his convictions. View "White v. Georgia" on Justia Law
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Constitutional Law, Criminal Law