Michigan v. Bruner

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Carl Bruner, II was convicted by jury trial for: first-degree premeditated murder; assault with intent to commit murder; being a felon in possession of a firearm; and possession of a firearm during the commission of a felony. These charges arose in connection with the shooting of two security guards outside a Detroit nightclub in June 2012. No eyewitnesses saw the shooter. Bruner was tried jointly before a single jury with a codefendant Michael Lawson. The prosecution argued that Bruner was the shooter and that he was aided or abetted by the Lawson. Bruner’s defense was that he was not present and was not the shooter. The prosecution planned to call as a witness Westley Webb, who did not testify at Bruner’s preliminary examination but did testify at Lawson’s preliminary examination about statements he claimed Lawson had made to him a few days after the shooting regarding Bruner’s actions on the night at issue. At trial, the prosecutor emphasized in his opening statement that Webb was a key witness who would testify that Bruner had a gun; however, at the close of the prosecution’s case in chief, the prosecutor informed the court that Webb could not be located and asked to read Webb’s prior testimony to the jury. The trial court declared Webb unavailable. The prosecutor conceded that the prior testimony could not be admitted against Bruner and offered to remove mention of Bruner from the transcript of Webb’s testimony. The trial court determined, over defense counsel’s objection, that Webb’s testimony was admissible against Lawson and that a limiting instruction would be adequate to ensure the jury would not consider the redacted testimony against Bruner. When the testimony was read into the record, each mention of Bruner’s name was replaced with the word “Blank,” and the court instructed the jury to consider the testimony only against Lawson. The Court of Appeals affirmed both defendants’ convictions, holding that Bruner’s right to confront the witnesses against him under the Sixth Amendment of the United States Constitution was not implicated by the admission of Webb’s preliminary examination testimony because Lawson’s statements to Webb were not testimonial and Webb’s testimony was neither offered nor admitted against Bruner. After its review, the Michigan Supreme Court found Bruner's right to confrontation was violated. Thus his conviction was reversed and the case remanded for the trial court to determine whether the prosecution established the error was harmless beyond a reasonable doubt. View "Michigan v. Bruner" on Justia Law