State v. Irish

by
Defendant was convicted of violating Neb. Rev. Stat. 60-6,198(1), which criminalizes the act of proximately causing serious bodily injury to another while driving under the influence of alcohol. Defendant appealed, arguing that the district court erred by failing to strictly construe the proximate cause element of section 60-6,198(1) to require a “but for” causal analysis of proximate cause, and that, had it done so, it could not have found him guilty. The Supreme Court affirmed, holding (1) the State met its burden of proving that Defendant’s act of driving while under the influence was both a “but for” cause and a proximate cause of serious bodily injury; and (2) because the serious bodily injury was a direct and natural result of Defendant’s act of driving while under the influence and there was no efficient intervening cause, a reasonable trier of fact could find that the State met its burden of proof on causation. View "State v. Irish" on Justia Law