Justia Wyoming Supreme Court Opinion Summaries
Articles Posted in Criminal Law
Large v. State
Appellant Jeramie Large was charged with six crimes arising from an incident when he stole and crashed a vehicle. Large appealed, claiming (1) his right to a speedy trial was violated and (2) he was denied his right to counsel without being adequately instructed and warned of the dangers of proceeding without counsel. The Supreme Court affirmed, holding (1) Appellant was afforded a speedy trial as it occurred without the 180-day time period required by Wyo. R. Crim. P. 48, and any delays did not violate Appellant's Sixth Amendment right to a speedy trial; and (2) Appellant's right to counsel was not violated as the district court adequately instructed Appellant on the dangers of proceeding without counsel. View "Large v. State" on Justia Law
Rodgers v. State
Appellant Danny Rodgers was convicted of check fraud, driving while intoxicated, felony identity theft, and two counts of forgery. Rodgers appealed, raising, among other claims, claims of evidentiary insufficiency and a speedy trial violation. The Supreme Court (1) reversed Rodgers' check fraud conviction, holding that there was insufficient evidence to support the conviction under Wyoming law; (2) reversed Rodgers' felony identity theft conviction because the facts did not support the felony conviction as defined by Wyo. Stat. Ann. 6-3-901(c), and ordered entry of a misdemeanor identity theft conviction because the jury's verdict supported Rodgers' conviction for that lesser-included offense; and (3) held that Rodgers' right to a speedy trial under Wyo. R. Crim. P. 48(b) was not violated under the facts of this case. Remanded for resentencing on the conviction of misdemeanor identity theft. View "Rodgers v. State" on Justia Law
Garner v. State
Appellant Mark Garner was convicted on two counts of delivery of a controlled substance after he was arrested for selling methamphetamine to a confidential informant in two controlled buy operations initiated by the Wyoming Division of Criminal Investigation. Garner appealed, contending (1) the district court improperly limited cross-examination of the confidential informant, a key prosecution witness; and (2) the evidence was insufficient to support his convictions. The Supreme Court affirmed, holding (1) the trial court did not abuse its discretion in admonishing defense counsel, limiting his cross-examination, and issuing a limiting instruction to the jury when defense counsel was cross-examining the confidential informant; and (2) there was ample evidence to support Appellant's convictions.
View "Garner v. State" on Justia Law
DeLoge v. State ex rel. Workers’ Safety & Comp. Div.
Appellant Steven DeLoge, an inmate in the state penitentiary, was working in the kitchen when he was injured in an altercation with another inmate. Appellant filed a workers' compensation claim based on the injuries sustained from a head-butt from the other inmate. The Wyoming Workers' Safety and Compensation Division (Division) denied the claim. The Office of Administrative Hearings (OAH) concluded that Appellant's injuries were the result of illegal activity and were therefore not compensable under the Wyoming Worker's Compensation Act. The district court affirmed. The Supreme Court affirmed, holding that because the head-butt was a battery under the criminal statute then existing, and therefore an illegal activity, Appellant was not eligible for workers' compensation benefits. View "DeLoge v. State ex rel. Workers' Safety & Comp. Div." on Justia Law
Tilley v. State
Marvin Tilley was convicted of six counts of sexual assault committed years previously against four different victims and one count of aggravated burglary against one of the victims. Tilley appealed, challenging the sufficiency of the evidence to convict him. At issue on appeal was the credibility of the witnesses and their memories. The Supreme Court affirmed, holding (1) the evidence was sufficient as to the date of the assaults and the fact that the victims did not consent to the sexual acts, (2) there was no basis to question the credibility determinations of the jury, and (3) therefore, the evidence was sufficient to support Tilley's convictions.
View "Tilley v. State" on Justia Law
Eckdahl v. State
John Eckdahl was sentenced following his conviction of possession of a controlled substance with intent to deliver. Just over a year later, Eckdahl filed a motion to modify his sentence. The district court denied the motion as untimely pursuant to Wyo. R. Crim. P. 35(b), which allows a motion for sentence modification within one year after the sentence is imposed. Eckdahl did not appeal the denial of his motion but instead filed a petition for reconsideration, followed by another motion to reduce his sentence. The district court entered an order denying both the petition for reconsideration and the pending motion for sentence reduction. The Supreme Court dismissed Eckdahl's appeal, holding that it lacked jurisdiction because Eckdahl's motions for sentence reduction were untimely and Eckdahl's petitions for reconsideration were not authorized under Wyoming law. View "Eckdahl v. State" on Justia Law
Hagerman v. State
In these consolidated appeals, Appellant Ryan Hagerman challenged the district court's denials of motions to correct illegal sentence that he filed in two unrelated, but temporally overlapping, cases. Appellant was first sentenced in a burglary case and later sentenced in a stolen property case. The Supreme Court remanded the burglary case for resentencing and affirmed the judgment of the district court in the stolen property case, holding (1) the sentence in the burglary case was illegal because Appellant's presentence confinement time was not properly credited against the sentence; and (2) the sentence in the stolen property case was not rendered illegal by the fact that Appellant was given credit against that sentence to which he was not entitled. View "Hagerman v. State" on Justia Law
Benjamin v. State
Appellant Leah Benjamin was convicted of second-degree murder for the shooting death of her estranged husband. On appeal, the Supreme Court affirmed, holding (1) the trial court did not abuse its discretion by denying Appellant's request to remove a juror who was related to one of the State's listed witnesses; (2) the trial court did not err in refusing Appellant's proposed jury instructions; (3) the trial court did not err in denying Appellant's post-trial motion for judgment of acquittal; and (4) Appellant failed to demonstrate that the prosecutor engaged in prejudicial misconduct during the prosecutor's opening statement, voir dire, or the prosecutor's closing argument. View "Benjamin v. State" on Justia Law
Orchard v. State Dep’t of Transp.
Appellant Mark Orchard was arrested for driving while under the influence of alcohol. As a result, the Wyoming Department of Transportation (DOT) advised Appellant that it was suspending his driver's license. Appellant contested the suspension before the Office of Administrative Hearings (OAH), and the OAH upheld the suspension. The district court affirmed. Appellant appealed, contending that the police officer who arrested him lacked reasonable suspicion to initiate the traffic stop. The Supreme Court affirmed, holding that the DOT's certified record, which included the arresting officer's signed statement, constituted relevant evidence that a reasonable mind might accept as adequate to support the determination that the arrested office had probable cause or reasonable suspicion to initiate a traffic stop of Appellant's vehicle. View "Orchard v. State Dep't of Transp." on Justia Law
Lascano v. State
Appellant Joshua Lascano was convicted of one count of burglary and sentenced to six to ten years. During trial, in order to have evidence indicating that Lascano was a member of a gang admitted, the State asserted that the burglary was an act of gang retaliation and that, but for the gang affiliations, the burglary would not have occurred. Lascano appealed, arguing that the prosecutor committed misconduct by misrepresenting the relevance of the gang evidence. The Supreme Court affirmed, holding (1) no prosecutorial misconduct occurred when gang evidence was admitted in this case, and (2) the district court did not abuse its discretion in so admitting the gang evidence. View "Lascano v. State" on Justia Law