Justia Wyoming Supreme Court Opinion Summaries
Articles Posted in Criminal Law
Birch v. State
The Supreme Court affirmed Defendant’s convictions for aggravated assault and battery and breach of peace, thus rejecting Defendant’s claims of error on appeal.Specifically, the Court held (1) the district court properly instructed the jury regarding the definition of “threatened to use” as defined in Wyoming law; (2) the district court abused its discretion when it admitted uncharged misconduct evidence at trial without first conducting a Gleason analysis, but the error was harmless; and (3) the State presented sufficient evidence to support Defendant’s aggravated assault and battery conviction by presenting evidence that Defendant “threatened to use a drawn deadly weapon” against Gordon Johnson. View "Birch v. State" on Justia Law
Voelker v. State
The Supreme Court affirmed the district court’s judgment and sentence entered after Defendant pleaded guilty to one count of intentionally exploiting a vulnerable adult, holding that the district court did not err when it held that the State had met its burden of proving the amount of restitution.The district court ordered Defendant to pay $43,821.30 in restitution to the man whose resources Defendant depleted, eighty-nine-year-old Wallace Reaves. The Supreme Court upheld the award of restitution, holding that the evidence provided a reasonable basis for calculating the amount of restitution, and therefore, there was sufficient evidence to support the district court’s findings. View "Voelker v. State" on Justia Law
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Criminal Law
Gabbert v. State
The Supreme Court affirmed the judgment of the district court convicting Defendant of eight felonies and holding that Defendant had failed to prove that he was not guilty by reason of mental illness or defect.Defendant was charged with eight felonies, including aggravated assault and battery, aggravated robbery, and theft. Defendant pleaded not guilty and not guilty by reason of mental illness or defect (NGMI). After a bench trial the court found Defendant guilty on all eight counts. On appeal, Defendant argued that the district court erred in concluding that he failed to prove he was not guilty by reason of mental illness. The Supreme Court affirmed, holding (1) the applicable standard of review is whether, after reviewing the evidence in the light most favorable to the State, a rational trier of fact could have found that the defendant failed to prove the defense by a preponderance of the evidence; and (2) under this standard, Appellant failed to prove the NGMI defense by a preponderance of the evidence. View "Gabbert v. State" on Justia Law
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Criminal Law
Gabbert v. State
The Supreme Court affirmed the judgment of the district court convicting Defendant of eight felonies and holding that Defendant had failed to prove that he was not guilty by reason of mental illness or defect.Defendant was charged with eight felonies, including aggravated assault and battery, aggravated robbery, and theft. Defendant pleaded not guilty and not guilty by reason of mental illness or defect (NGMI). After a bench trial the court found Defendant guilty on all eight counts. On appeal, Defendant argued that the district court erred in concluding that he failed to prove he was not guilty by reason of mental illness. The Supreme Court affirmed, holding (1) the applicable standard of review is whether, after reviewing the evidence in the light most favorable to the State, a rational trier of fact could have found that the defendant failed to prove the defense by a preponderance of the evidence; and (2) under this standard, Appellant failed to prove the NGMI defense by a preponderance of the evidence. View "Gabbert v. State" on Justia Law
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Criminal Law
Volpi v. State
The Supreme Court reversed Appellant’s second conviction for kidnapping and affirmed his remaining convictions, holding that Appellant’s convictions and sentences for two counts of kidnapping violate double jeopardy.Appellant was convicted of strangulation of a household member, domestic battery, and two counts of kidnapping. The convictions arose from a single violent episode involving Appellant’s girlfriend. The Supreme Court affirmed in part and reversed in part, holding (1) the district court did not abuse its discretion in allowing the State to introduce evidence of uncharged misconduct; (2) the two convictions for kidnapping violated Appellant’s protections against double jeopardy because Appellant’s actions supported only one continuing kidnapping offense; and (3) the separate convictions for domestic battery and strangulation of a household member did not violate Appellant’s protections against double jeopardy because Appellant did not satisfy his burden to prove that the two convictions were based on the same incident. View "Volpi v. State" on Justia Law
McEwan v. State
The Supreme Court vacated certain portions of the order of the district court fixing restitution after Defendant pleaded no contest to obtaining welfare benefits by misrepresentation.Following Defendant’s no-contest plea, the district court fixed restitution at $18,733. Defendant filed a motion requesting that the district court find she was unable to pay the restitution. After a hearing, the district court issued an order that fixed the amount of Defendant’s restitution at $18,733 but did not require Defendant to pay it, finding that she lacked the ability to do so. Nevertheless, the district court allowed the State to reduce $18,733 to a civil judgment. The Supreme Court held (1) because the district court did not order restitution, it erred as a matter of law when it allowed the State to reduce $18,733 to a civil judgment; and (2) the district court erred as a matter of law by failing either to order restitution or specifically find that there exists no reasonable probability that Defendant will be able to pay restitution in the future. View "McEwan v. State" on Justia Law
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Criminal Law
Jordin v. State
The Supreme Court affirmed the judgment of the trial court convicting Defendant, after a jury trial, of conspiracy to commit aggravated burglary, conspiracy to commit aggravated robbery, conspiracy to commit aggravated assault and battery, and conspiracy to commit theft.On appeal, Defendant argued that the State failed to present sufficient evidence to support three of his convictions. The Supreme Court disagreed, holding that there was insufficient evidence to support Defendant’s convictions of conspiracy to commit aggravated burglary, aggravated robbery, and aggravated assault and battery. View "Jordin v. State" on Justia Law
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Criminal Law
Jordin v. State
The Supreme Court affirmed the judgment of the trial court convicting Defendant, after a jury trial, of conspiracy to commit aggravated burglary, conspiracy to commit aggravated robbery, conspiracy to commit aggravated assault and battery, and conspiracy to commit theft.On appeal, Defendant argued that the State failed to present sufficient evidence to support three of his convictions. The Supreme Court disagreed, holding that there was insufficient evidence to support Defendant’s convictions of conspiracy to commit aggravated burglary, aggravated robbery, and aggravated assault and battery. View "Jordin v. State" on Justia Law
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Criminal Law
Young v. State
The Supreme Court affirmed the judgment of the district court convicting Defendant of two counts of first degree sexual abuse of a minor and three counts of second degree sexual abuse of a minor, holding that the district court did not err by determining that the minor victim, FH, was competent to testify.On appeal, Defendant argued that the record did not support the district court’s determination that FH had a memory sufficient to retain an independent recollection of the abuse, and therefore, the five-part test adopted in Larsen v. State, 686 P.2d at 585 (Wyo. 1984), to determine a child witness’s competence to testify was not met. The Supreme Court disagreed, holding that the district court conducted the required analysis under Larsen, and the record supported the district court’s conclusion that FH had a sufficient memory to testify. View "Young v. State" on Justia Law
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Criminal Law
Bruckner v. State
The Supreme Court affirmed Appellant’s conviction of one count of sexual assault in the first degree, holding that Appellant’s trial counsel did not provide ineffective assistance.The jury in this case concluded that Appellant committed sexual intrusion upon a non-consenting victim whom Appellant knew or had reason to believe was physically helpless. On appeal, Appellant argued that his trial counsel provided ineffective assistance by failing to object to inadmissible evidence, failing to adequately advance her theory of the case, and failing to suppress the statements made by Appellant when under investigative detention. The Supreme Court disagreed, holding that trial counsel was not ineffective in her representation of Appellant. View "Bruckner v. State" on Justia Law