Justia Criminal Law Opinion Summaries
Articles Posted in Idaho Supreme Court - Criminal
Idaho v. Smith
Defendant Melonie Smith appealed her conviction for first degree murder and destruction, alteration, or concealment of evidence. On appeal, Smith claimed the district court: (1) erred when it denied her motion to suppress; (2) abused its discretion when it admitted certain testimony over her objection; and (3) committed fundamental error by (a) admitting a video and (b) not striking the prosecutor’s comments in closing arguments. Smith further argued she was deprived of her right to a fair trial due to the accumulation of errors. Finding no reversible error, the Idaho Supreme Court affirmed her convictions. View "Idaho v. Smith" on Justia Law
Idaho v. Orozco
Fifteen-year-old Lucas Orozco was charged with robbery and burglary, both felonies, for allegedly robbing a convenience store. After a magistrate court determined there was probable cause to charge Orozco with the felonies, it waived juvenile jurisdiction and bound him over to district court as an adult pursuant to Idaho Code section 20-509. Orozco objected to this automatic waiver, filing a motion with the district court challenging the constitutionality of section 20-509. The district court denied the motion, relying on precedent from the Idaho Court of Appeals, which previously upheld the constitutionality of section 20-509. Orozco appealed, arguing that the automatic waiver denied him procedural due process protections afforded to him by the U.S. Constitution. Finding no reversible error, the Idaho Supreme Court affirmed the district court. View "Idaho v. Orozco" on Justia Law
Idaho v. Alvarado
In this appeal, the Idaho Supreme Court was asked to clarify the meaning and extent of a defendant’s Sixth Amendment right to conflict-free counsel. Appellant Alfredo Alvarado argued his rights were violated because his public defender had previously represented a witness who was adverse to him on a felony charge. After disclosing the conflict, Alvarado’s attorney agreed that he and the public defender’s office would decline any future representation of the witness. However, Alvarado argued that counsel continued to have an actual conflict of interest because his ongoing ethical duties to the witness and former client prevented him from effectively cross- examining the witness. Alvarado contended this resulted in a structural defect in the trial, which necessitated overturning his convictions. In the alternative, Alvarado argued his unified aggregate sentence of twenty years to life for attempted strangulation and domestic abuse was excessive. After review, the Supreme Court determined Alvarado failed to show his counsel's representation constituted a fundamental error. He neither demonstrated an error affected the outcome of the trial, nor shown that a structural error denied him the right to counsel during a critical stage of the proceeding. Therefore, the Court ruled Alvarado was not deprived of his Sixth Amendment right to conflict-free counsel. The Court also held the district court did not abuse its discretion in sentencing Alvarado to a twenty-year to life aggregate sentence on his two felony convictions. View "Idaho v. Alvarado" on Justia Law
Idaho v. Gorringe
Defendant Max Gorringe appeaeled a district court’s order amending of a no contact order. A no contact order was originally entered against Gorringe after he was initially charged with attempted strangulation in 2011. Upon acceptance of Gorringe’s guilty plea to that charge in 2012, the district court rescinded the existing no contact order and in its place included no contact provisions in the Judgment and Commitment. In 2018, Gorringe was charged with a misdemeanor for allegedly violating the no contact provisions contained in the original Judgment and Commitment. Gorringe sought clarification of the existing provisions originally entered the judgment, then moved to modify the no contact provisions. The parties stipulated to an amendment of the order in exchange for the dismissal of Gorringe’s misdemeanor charge. Although the district court expressed reservations regarding its jurisdiction to amend the no contact provisions that had been incorporated into the prior Judgment and Commitment, the district court nonetheless amended the 2012 no contact order based on the parties’ stipulation and the State’s assurance that the victim did not object to the amendment. Gorringe appealed the district court’s order amending the no contact provisions, asserting that the no contact provisions included in the 2012 Judgment and Commitment were invalid. Gorringe also claimed the district court lacked subject matter jurisdiction to amend the order in 2018. The Idaho Supreme Court concluded the no contact provision in the district court's 2012 Judgment was unenforceable; the court lacked jurisdiction to amend the 2012 no contact order. The district court order amending the no contact order was thus reversed, and the provisions in the 2012 sentencing order were void. View "Idaho v. Gorringe" on Justia Law
Idaho v. Campbell
The State charged Carli Campbell as an accessory to a felony under Idaho Code section 18-205(1) for withholding or concealing information from police officers about an aggravated battery and burglary that occurred in her home in December 2017. After the evidentiary phase of the trial was completed, Campbell requested the district court instruct the jury that the State was required to prove that the alleged assailant, Michael Cross, committed the aggravated battery or burglary beyond a reasonable doubt. The State opposed this request and the district court agreed, concluding that while the State was required to prove Campbell had knowledge of the conduct that constituted an aggravated battery or a burglary, it was not was required to prove Cross committed the aggravated battery or burglary beyond a reasonable doubt. At the conclusion of the trial, the jury found Campbell guilty. Campbell now appeals her conviction to this Court. Finding no reversible error in the district court's decision, the Idaho Supreme Court affirmed. View "Idaho v. Campbell" on Justia Law
Idaho v. Sarbacher
The State charged Keith Sarbacher with grand theft by receiving or possessing stolen property: a 2001 Dodge pickup truck. After Sarbacher’s arrest, the State inventoried and photographed the truck and then returned it to the insurance company, who then sold the truck before Sarbacher’s attorneys could examine it. Sarbacher moved the district court for dismissal, arguing that the State violated his constitutional right to due process by disposing of evidence that was material and potentially exculpatory. The district court granted Sarbacher’s motion and dismissed the State’s case. The State appealed, arguing the evidence at issue was of unknown exculpatory value and the trial court expressly found that the State had not acted in bad faith. The Idaho Supreme Court concluded after a review of the district court record, it would have been entirely speculative for the district court to conclude that any of the additional analyses Sarbacher wanted to conduct would have resulted in the discovery of any exculpatory evidence to exonerate him. "the evidentiary value of the truck as the corpus delicti of the crime was sufficiently preserved by the State through its inventorying and photographing the vehicle prior to its release to Hunt’s insurance company." The Court vacated the district court's decision and remanded for further proceedings. View "Idaho v. Sarbacher" on Justia Law
Idaho v. Stegall
This case arose from a DUI suspect’s request to make a phone call from jail following his arrest. The State appealed a district court order granting Jeffery Stegall’s motion to suppress blood alcohol concentration (BAC) evidence obtained from a blood draw. The district court granted Stegall’s motion after determining that his right to due process had been violated when police officers at the jail refused his request to make a phone call. The State argued on appeal that the district court erred in determining Stegall’s due process rights were violated because the officers were not acting in bad faith when they failed to allow him access to a phone. To this, the Idaho Supreme Court disagreed, holding the district court did not err in determining the jail officers violated Stegall’s right to procedural due process when, despite his requests, they failed to allow him access to a phone for the purpose of contacting an attorney until the morning following his arrest. Accordingly, the district court’s order granting Stegall’s motion to suppress evidence of BAC was affirmed. View "Idaho v. Stegall" on Justia Law
Idaho v. Rebo
Jesse Rebo shared a home with his wife in Coeur d’Alene for ten years. Due to a domestic assault conviction, Rebo had been ordered by a judge to not go within 300 feet of his wife or the family residence. Even so, about a week after the court issued the order, Rebo was seen near his wife, outside the home, by a police officer. The officer announced herself and Rebo retreated inside. The officer entered the home and arrested Rebo. Methamphetamine was ultimately found on Rebo’s person when he was booked at the jail. Rebo brought a motion to suppress that evidence, which the district court denied. The court ruled that Rebo lacked standing to challenge the officer’s warrantless entry into his residence because society would not recognize Rebo’s subjective expectation of privacy in the residence from which a valid no contact order prohibited Rebo from entering. Rebo appealed, arguing that his ownership interest in the home allowed him to exclude others, including the officer from the home. Rebo also argued no exigent circumstances existed to justify the officer’s warrantless entry, and the evidence discovered after the officer’s unlawful entry should have been suppressed as “fruit of the poisonous tree.” Finding no reversible error, the Idaho Supreme Court affirmed the district court. View "Idaho v. Rebo" on Justia Law
Idaho v. Huckabay
Defendant John Huckabay appealed his criminal conviction of felony unlawful possession of a moose. A couple heard a gunshot as they were packing up to leave their cabin by Mica Bay on Lake Coeur d'Alene in October 2014. They encountered a large truck with a cow moose hoisted in the back on a metal frame. A man beside the truck introduced himself as John Huckabay. At their inquiry, Huckabay told the couple he had a tag for the moose. The driver, still in the truck, introduced himself as “Bob” later identified as Bob Cushman, a local butcher and the owner of the vehicle. As the couple departed, the wife looked up Idaho’s moose hunting season on her phone. Concerned of a potential hunting violation, the couple proceeded to the Idaho Department of Fish and Game’s (“IDFG”) regional office where they reported the shooting of an antlerless moose by a man named Huckabay. While Huckabay did not give the IDFG officers information about Cushman or details about who specifically shot the moose, Huckabay accompanied a third officer to the area where the moose had been killed. Officers obtained Cushman’s address and visited his residence. With Cushman’s permission, the officers checked inside a walk-in cooler on the premises and found a skinned and quartered cow moose, which lacked the requisite tag. The officers also noted that the carcass was still “very warm,” showing it had only recently been placed in Cushman’s cooler. A grand jury indicted Huckabay for felony unlawful killing or possession of a moose. Huckabay moved to dismiss his indictment, arguing the evidence was insufficient to establish probable cause and the indictment lacked essential elements of the crime. He also filed additional motions to challenge a lack of jurisdiction. Each of these issues hinged on his argument that the plain language of Idaho Code section 36-1404(c)(3) required more than one animal to warrant a felony charge. The district court denied Huckabay’s motions, finding that the indictment was sufficient to establish probable cause that Huckabay possessed the moose even if there was insufficient evidence to establish he killed the moose in question. The Idaho Supreme Court concurred with the district court that Idaho Code section 36-1401(c)(3) could plainly apply to the unlawful killing, possessing, or wasting of a single animal, and affirmed Huckabay's conviction. View "Idaho v. Huckabay" on Justia Law
Idaho v. Quigle
Robert Farrell-Quigle appealed his judgment of conviction for two counts of lewd conduct. He contends that the use of a shielding screen at trial during the testimonies of the alleged victims deprived him of his Fourteenth Amendment due process right to a fair trial, violated his Sixth Amendment right to confront the witnesses against him, and failed to comply with Idaho’s laws on alternative methods for child witness testimony. Leading up to trial, the State filed a motion seeking permission for both daughters to testify by alternative methods to avoid “increased emotional and mental trauma” from testifying in Farrell-Quigle’s presence. After review of the trial court record, the Idaho Supreme Court determined the use of the screen deprived Farrell-Quigle of his Fourteenth Amendment due process right to a fair trial, finding specifically that use of the screen was inherently prejudicial, and did not serve an essential state interest. "the district court’s decision to use the shielding screen instead of CCTV, which this Court had previously found does not result in inherent prejudice where necessity has been shown, was at its core a decision borne out of convenience. Convenience alone cannot outweigh a defendant’s constitutional rights. " Judgment was vacated and the matter was remanded for a new trial. View "Idaho v. Quigle" on Justia Law