People v. Drake

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Defendant was charged with aggravated battery of a child, heinous battery, and aggravated domestic battery. The indictments alleged that defendant immersed his six-year-old stepson, J.H. in hot water. The court admitted J.H.’s out-of-court statement to his nurse at Stroger Hospital. The state also offered expert testimony from Dr. Fujara, a specialist in child abuse pediatrics and from White, a retired investigator with the Department of Children and Family Services (DCFS). Defendant acknowledged that he falsely identified himself at the hospital. The trial court found him guilty. The appellate court held that the trial court erred in admitting J.H.’s statement identifying defendant as the offender under the hearsay exception for statements made for the purpose of medical diagnosis and treatment and held that the double jeopardy clause barred retrial because the evidence was insufficient to prove defendant guilty beyond a reasonable doubt, reasoning that J.H.’s hearsay statement was the only identification evidence placing defendant in the bathroom when the injury occurred. The Illinois Supreme Court reversed, concluding that the double jeopardy clause does not bar retrial. Dr. Fujara offered persuasive expert testimony that J.H.’s burns resulted from forcible immersion in hot water, ruling out alternative causes and rebutting defendant’s argument that J.H. may have been burned accidentally as a result of a faulty water heater. Defendant was the only adult present in the house at the time J.H. was injured and did not seek prompt treatment. View "People v. Drake" on Justia Law