State v. Robinson

The Supreme Court affirmed Defendant’s convictions, rendered after a jury trial, of aggravated burglary, aggravated battery, and criminal damage to property. Specifically, the court held (1) Defendant’s statutory rights to a speedy trial were not violated; (2) the State presented sufficient evidence to support Defendant’s conviction of aggravated burglary; (3) the “bodily harm” jury instruction was not in error; (4) the district court erred in failing to give a Kan. Stat. Ann. 60-455 limiting instruction, but the error was harmless; (5) the district court erred in issuing written responses to the deliberating jury’s questions, but the error was harmless; (6) Defendant’s remaining challenges were unpreserved; and (7) cumulative error did not warrant reversal View "State v. Robinson" on Justia Law