Justia Nebraska Supreme Court Opinion Summaries
Articles Posted in Civil Rights
State v. Hessler
Jeffrey Hessler was incarcerated and sentenced to death relating to the rape and murder of a fifteen-year-old. Hessler subsequently filed a motion for postconviction relief. The district court granted an evidentiary hearing on the limited issue of whether trial counsel was ineffective in failing to demand a competency hearing before the trial court allowed Hessler to waive counsel and represent himself at sentencing. The court then denied postconviction relief. The Supreme Court affirmed, holding that Hessler failed to demonstrate a reasonable probability that he was incompetent at the sentencing hearing, and therefore, the district court did not err in denying postconviction relief. View "State v. Hessler" on Justia Law
State v. Iromuanya
Lucky Iromuanya was convicted of second degree murder, attempted second degree murder, and two related counts of use of a weapon. The Supreme Court modified his sentence. Iromuanya subsequently filed a petition for postconviction relief, alleging multiple claims of ineffective assistance of counsel directed at his trial and appellate counsel. The district court overruled the motion without an evidentiary hearing. The Supreme Court affirmed, holding that the district court did not err in dismissing Iromuanya's motion without a hearing where, for all of his claims, Iromuanya either failed to allege facts that showed his counsel's deficient performance or failed to allege facts that showed he was prejudiced by his counsel's alleged deficiencies. View "State v. Iromuanya" on Justia Law
State v. Timmens
Timmy Timmens was convicted of second degree murder. The Supreme Court affirmed his conviction and sentence. Timmens subsequently filed a motion for postconviction relief, alleging that his trial counsel was ineffective in several particulars and that his appellate counsel was ineffective in failing to raise ineffective assistance of trial counsel on direct appeal. The district court dismissed all but one of the claims without a hearing and denied the remaining claim following an evidentiary hearing. The Supreme Court affirmed, holding (1) Timmens' appeal of the order denying all but one of his postconviction claims without a hearing was untimely; (2) trial counsel's performance with respect to Timmens' remaining claim was not deficient under the Strickland v. Washington standard, and therefore, appellate counsel was not ineffective in not raising the issue of trial counsel's performance on direct appeal; and (3) the district court did not abuse its discretion in denying Timmens' motion to alter or amend the judgment. View "State v. Timmens" on Justia Law
State v. Nelson
A rental vehicle driven by James Nelson was stopped for speeding. A subsequent search disclosed a package of cocaine. After a jury trial, Nelson was found guilty of possession of cocaine with intent to deliver or distribute. The Supreme Court affirmed, holding (1) although Nelson was not the driver authorized on the rental agreement, he had permission from the authorized driver to drive the vehicle, and therefore, Nelson had standing to challenge his detention and the search of the vehicle; (2) the district court's denial of Nelson's first motion to suppress was not in error where an objectively reasonable law enforcement officer would have had a reasonable, articulable suspicion to detain Nelson; and (3) the district court did not err when it denied Nelson's motion for a new trial based on newly discovered evidence because the evidence at issue was not newly discovered evidence under Neb. Rev. Stat. 29-2101(5), the evidence was not exculpatory, and its loss or destruction did not deprive Nelson of due process or a fair trial. View "State v. Nelson" on Justia Law
State v. Smith
After a jury trial, Ronald Smith was convicted of murder in the second degree and related offenses. Smith appealed his conviction for second degree murder. The Supreme Court affirmed after (1) reaffirming the holdings of State v. Pettit and Bosche v. State that an intentional killing committed without malice upon a sudden quarrel constitutes the offense of manslaughter, and overruling the holding of State v. Jones that the distinction between second degree murder and manslaughter upon a sudden quarrel is the presence or absence of an intention to kill; (2) holding that the step instruction given in this case was not a correct statement of the law because it (i) required the jury to convict on second degree murder if it found that Smith killed the victim intentionally but (ii) did not permit the jury to consider the alternative possibility that the killing was intentional but provoked by a sudden quarrel and, therefore, constituted manslaughter; and (3) concluding that because there was no evidence in the record upon which the jury could have concluded that Smith committed sudden quarrel manslaughter instead of second degree murder, the improper jury instruction did not prejudice Smith or affect his substantial rights. View "State v. Smith" on Justia Law
State v. Graff
Terry Graff was convicted of violating a protection order and was sentenced to twelve months' probation. Graff appealed to the district court, which affirmed. At issue on appeal was whether a defendant can be convicted of knowingly violating a protection order of which he has actual notice if he was not personally served with that order. The Supreme Court reversed, holding (1) personal service was specifically required by Neb. Rev. Stat. 28-311.09 and hence was an element of the crime; and (2) because personal service was required, but did not occur, there was insufficient evidence to convict Graff. Remanded with instructions to dismiss the charge. View "State v. Graff" on Justia Law
State v. Lee
Under a plea bargain, Donald Lee pleaded nolo contendere to one count of second degree murder. The district court sentenced Lee to a term of seventy years to life in prison. Lee subsequently filed a motion for postconviction relief, claiming violations of his right to a speedy trial, his right to due process, and his right to effective assistance of counsel. The district court denied the motion without granting an evidentiary hearing. The Supreme Court reversed in part, holding that the record did not affirmatively show that Lee's ineffective assistance of counsel claim regarding his speedy trial rights was without merit. Remanded for further proceedings. View "State v. Lee" on Justia Law
State v. McCave
Jeffrey McCave was in his car, parked in the driveway of his father's house, when his father told him to leave. After McCave refused, his father called the police, who arrested McCave. McCave was subsequently convicted of DUI, refusing to submit to a chemical test, trespass, and possessing an open container. The district court affirmed the judgment of the county court. The Supreme Court reversed the judgments of conviction for DUI, refusing to submit, and possessing an open container and remanded with directions to vacate those convictions and sentences, holding (1) McCave's arrest for DUI was unlawful because the officers lacked probable cause to arrest McCave, and therefore, the county court erred in failing to suppress evidence derived from the arrest, and the error was not harmless; (2) the unlawful arrest also rendered McCave's conviction for refusing to submit unlawful; (3) the evidence was insufficient to sustain McCave's conviction for possessing alcohol in an open container; and (4) the county court erred in excluding evidence relevant to the trespass charge and the statutory defense to that charge, and because the error was not harmless, the Court reversed this conviction and remanded for a new trial only on that charge. View "State v. McCave" on Justia Law
State v. Perina
Appellant Arthur Perina was charged with, among other things, motor vehicle homicide under Neb. Rev. Stat. 28-306. Perina filed a motion to quash the motor vehicle homicide charge, asserting that section 28-306 was unconstitutional on the ground that it criminalized negligent acts. The county court overruled Perina's motion. Perina pled guilty to both charges, after which he renewed his constitutional challenge. It was again overruled. The district court affirmed Perina's convictions and sentence. The Supreme Court affirmed, holding that the district court did not err in rejecting Perina's constitutional arguments or affirming the county court's decision to convict him of motor vehicle homicide without proof of mens rea because motor vehicle homicide is a public welfare offense that does not require proof of mens rea. View "State v. Perina" on Justia Law
State v. Alfredson
Joshua Alfredson was convicted by a jury of first degree sexual assault and second degree false imprisonment. The trial court subsequently determined that an aggravated offense had been established and, as a result, subjected Alfredson to lifetime community supervision as part of his sentence. The court of appeals affirmed Alfredson's convictions and sentences, concluding (1) the trial court erred by failing to submit to the jury the aggravated offense determination regarding whether the offense included the use of force or the threat of serious violence pursuant to Neb. Rev. Stat. 83-174.03, but (2) the error was harmless. The Supreme Court reversed in part, holding that the trial court's error was not harmless because the Court could not say, beyond a reasonable doubt, that the jury would have found that Alfredson used force or the threat of serious violence in compelling the victim to have sexual intercourse with him. Remanded. View "State v. Alfredson" on Justia Law