Justia Criminal Law Opinion Summaries
Articles Posted in South Dakota Supreme Court
State v. Malcolm
The Supreme Court affirmed the judgment of the circuit court convicting Defendant of nine counts of third-degree rape involving J.C., holding that Defendant was not entitled to relief on any of his allegations of error.During the trial, the circuit court rejected the legal basis of Defendant's defense theory that J.C. gave "advance consent" to to sexual penetration before she passed out and became incapable of of giving contemporaneous consent. The circuit court rejected the legal basis of the defense and consequently excluded evidence that J.C. gave advance consent. The Supreme Court affirmed on appeal, holding (1) there was no error in the circuit court's decision regarding the advance consent theory and the court's exclusion of the relevant evidence; (2) the circuit court did not err by failing to instruct the jury on a definition of intoxication; and (3) this Court declines to address Defendant's claim of ineffective assistance of counsel on direct review. View "State v. Malcolm" on Justia Law
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Criminal Law, South Dakota Supreme Court
State v. At The Straight
The Supreme Court affirmed Defendant's conviction for attempted first-degree murder, four counts of aggravated assault, and commission of a felony while armed with a firearm, holding that there was no error in the proceedings below.After a jury trial, Defendant was convicted. After a habitual offender trial, the jury found that Defendant had five prior felony convictions and ordered him to serve twenty-five years for attempted first-degree murder. The Supreme Court affirmed, holding that applying the correct standard leads to the conclusion that sufficient evidence supported the circuit court's decision to deny Defendant's motions for judgment of acquittal. View "State v. At The Straight" on Justia Law
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Criminal Law, South Dakota Supreme Court
State v. Rosa
The Supreme Court affirmed Defendant's conviction of open container and driving under the influence (DUI) and imposing a suspended imposition of sentence, holding that the circuit court did not err in denying Defendant's motion to suppress.Based on information obtained during a 911 call made by Defendant's daughter reporting that Defendant may be drinking and driving and providing Defendant's location officers conducted a traffic stop of Defendant's van and then arrested her for DUI. Defendant filed a motion to suppress, arguing that the traffic stop was an unconstitutional search and seizure. The circuit court denied the motion and found Defendant guilty. The Supreme Court affirmed, holding that, under the totality of the circumstances, the circuit court properly concluded that law enforcement had reasonable suspicion to believe that Defendant was driving under the influence of alcohol at the time of the stop. View "State v. Rosa" on Justia Law
State v. McDermott
The Supreme Court affirmed Defendant's conviction of third-degree rape, entered following a jury trial, holding that there was sufficient evidence in the record to sustain the conviction, and therefore, the circuit court did not err in denying Defendant's motion for a judgment of acquittal.After a jury trial, Defendant was found guilty of third-degree rape and sentenced to ten years in prison with eight years suspended. On appeal, Defendant argued that the evidence did not prove beyond da reasonable doubt that actual penetration occurred, as required by S.D. Codified Laws 22-22-1(3). The Supreme Court affirmed, holding that there was sufficient evidence in the record to support the jury's verdict finding Defendant guilty of third-degree rape. View "State v. McDermott" on Justia Law
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Criminal Law, South Dakota Supreme Court
State v. Guzman
The Supreme Court affirmed Defendant's convictions of first-degree rape and sexual contact, holding that Defendant was not entitled to relief on any of his allegations of error.After a second trial, a jury found Defendant guilty of sexually assaulting two of his children and one of his children's friends and sentenced him to life imprisonment on each of the three counts of first-degree rape and fifteen years on the sexual contact count, all to run consecutively. The Supreme Court affirmed, holding that the circuit court (1) abused its discretion in excluding witness testimony offered in Defendant's case-in-chief, but the error was harmless beyond a reasonable doubt; (2) did not err in allowing the State to admit a trial transcript of Defendant's testimony from his first trial; (3) did not abuse its discretion in allowing the State to admit other act evidence and expert testimony; and (4) did not abuse its discretion in ordering Defendant to pay certain costs of prosecution. View "State v. Guzman" on Justia Law
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Criminal Law, South Dakota Supreme Court
State v. Alvarez
The Supreme Court affirmed Defendant's conviction of first-degree rape, in violation of S.D. Codified Laws 22-22-1(1), holding that the court did not err in denying Defendant's request to withdraw his guilty plea.Defendant pled guilty to sexual penetration of a victim less than thirteen years of age. After a change of plea hearing but prior to sentencing, Defendant unsuccessfully filed a letter asking the circuit court to withdraw his guilty plea and requesting substitute counsel. After denying both requests the court sentenced Defendant to 100 years in prison with fifteen years suspended. The Supreme Court affirmed, holding (1) the trial court did not abuse its discretion in denying Defendant's request to withdraw his guilty plea; and (2) this Court declines to address Defendant's ineffective assistance of counsel claim on direct review. View "State v. Alvarez" on Justia Law
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Criminal Law, South Dakota Supreme Court
State v. Hankins
The Supreme Court affirmed the judgment of the circuit court convicting Defendant, after a jury trial, of two counts of first-degree rape, holding that the circuit court did not abuse its discretion in the way it handled Defendant's arraignment or in its evidentiary rulings and that misconduct that occurred during the State's closing rebuttal argument did not constitute prejudicial error.On appeal, Defendant claimed that his arraignment violated his due process rights and S.D. Codified Laws 23A-7-1 and that the circuit court abused its discretion in several of its evidentiary rulings. The Supreme Court disagreed and affirmed, holding (1) the challenged evidentiary rulings were without error and were not an abuse of discretion; and (2) while the prosecutor committed misconduct during closing argument, it was improbable that the prosecutor's misconduct altered the jury's verdict. View "State v. Hankins" on Justia Law
Posted in:
Criminal Law, South Dakota Supreme Court
Spaniol v. Young
The Supreme Court affirmed the judgment of the circuit court denying Appellant's petition for habeas corpus, holding that the circuit court did not err in denying the petition after holding an evidentiary hearing.Appellant was convicted of three counts of first-degree rape and one count of sexual contact with a child under sixteen for raping and having sexual contact with his four-year-old autistic daughter. The conviction was affirmed on appeal. Appellant later filed a petition for habeas corpus alleging several instances of ineffective assistance of counsel. After a hearing, the circuit court denied the petition. The Supreme Court affirmed, holding that Appellant failed to establish that his trial counsel provided ineffective assistance. View "Spaniol v. Young" on Justia Law
State v. Larson
The Supreme Court affirmed Defendant's conviction for second-degree murder and aggravated battery of an infant, holding that the circuit court did not err during the proceedings below and that there was sufficient evidence to support the convictions.After a jury trial, Defendant was found guilty of second-degree murder and aggravated battery of an infant and sentenced to life imprisonment for the second-degree murder. Defendant appealed, arguing that the circuit court erred when it denied his motion to suppress statements made to law enforcement during a custodial interview and that there there was sufficient evidence to support his convictions. The Supreme Court disagreed, holding that Defendant's suppression motion was properly denied and that his convictions were supported by sufficient evidence. View "State v. Larson" on Justia Law
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Criminal Law, South Dakota Supreme Court
State v. Loeschke
The Supreme Court affirmed Defendant's convictions of one count of aggravated assault and two counts of simple assault, holding that the circuit court did not err by denying Defendant's motion to sever or in admitted statements contained in recorded phone conversations while Defendant was in jail.Defendant was charged with one count of aggravated assault and two counts of simple assault arising from a stab wound inflicted on Melissa Greenwalt on February 20, 2019 and was also charged with the same offenses arising from an assault inflicted on Greenwalt with fists, leaving her with a broken jaw. After Defendant unsuccessfully moved to sever the charges based on the dates of the offenses a jury convicted him on the assault charges arising from the 2019 stabbing but acquitted him of the charges from the 2018 broken-jaw incident. The Supreme Court affirmed, holding that the circuit court (1) did not err in denying Defendant's motion to sever; and (2) did not err in admitting portions of the recorded phone calls made by Defendant to Greenwalt. View "State v. Loeschke" on Justia Law
Posted in:
Criminal Law, South Dakota Supreme Court