Justia Nebraska Supreme Court Opinion Summaries
Articles Posted in Criminal Law
State v. Baker
In 2006, Defendant was found guilty by a jury of first degree murder, and in 2007, Defendant pled guilty to a separate charge of first degree murder. Defendant was sentenced to consecutive life sentences for the murders. Defendant subsequently filed motions for postconviction relief in both cases, alleging ineffective assistance of counsel and prosecutorial misconduct. The district court denied Defendant's motions without an evidentiary hearing. The Supreme Court affirmed, holding that the district court did not err in denying Defendant's motion for postconviction relief in each case without an evidentiary hearing, as Defendant's motions in the two cases did not allege facts constituting a denial of his constitutional rights, and the record refuted his claims as to his other allegations. View "State v. Baker" on Justia Law
State v. McGuire
After a jury trial, Defendant was convicted of second degree murder under a theory of aiding and abetting, criminal conspiracy to unlawfully possess and deliver a controlled substance, and use of a deadly weapon to commit a felony. The Supreme Court affirmed Defendant's convictions and sentences, holding (1) Defendant was not prejudiced when the district court allowed his counsel to withdraw prior to counsel and by accepting Defendant's waiver of conflict of interest created by the former counsel's new employment with the county's attorney's office, which was prosecuting Defendant in this case; (2) the district court did not err in allowing evidence of prior bad acts; (3) Defendant's trial counsel's alleged ineffectiveness for failing to request jury instructions regarding robbery and attempted robbery as lesser-included offenses of felony murder did not prejudice Defendant; (4) a jury instruction error did not require reversal of Defendant's second degree murder conviction; (5) the convictions were supported by sufficient evidence; and (6) the district court did not impose excessive sentences. View "State v. McGuire" on Justia Law
State v. Osorio
In 2002, Defendant pled no contest to attempted first degree arson pursuant to a plea agreement. Defendant was discharged from prison in 2003 and was thereafter removed from the United States. In 2012, Defendant filed a motion to withdraw his plea of no contest and vacate his conviction, alleging that his plea and conviction were obtained in violation of his due process rights and that his counsel was ineffective because he did not advise Defendant of the immigration consequences of his guilty plea. The district court denied Defendant's motion. The Supreme Court affirmed, holding that the district court correctly determined that neither the postconviction statute, Neb. Rev. Stat. 29-1819.02, nor the common-law "manifest injustice" procedure, all of which Defendant attempted to collaterally attack his plea under, provided a basis for relief in this case. View "State v. Osorio" on Justia Law
State v. Edwards
While serving as county attorney, Defendant established a pretrial diversion program wherein participants paid an enrollment fee and court costs. The fees and costs were deposited into a separate bank account with Defendant as the only authorized signer on the account. After the state auditor's office conducted an audit, Defendant was charged with three counts of theft by unlawful taking, among other charges. The third theft charge was based on a check Defendant wrote on the account of the diversion program to a local trapshooting team. The jury acquitted Defendant of the first two theft counts but convicted him of the third. The Supreme Court reversed, holding that the trial court plainly erred in instructing the jury on Defendant's affirmative defense of entrapment of estoppel. Remanded for retrial. View "State v. Edwards" on Justia Law
State v. Abdulkadir
After a jury trial, Defendant was convicted of second degree murder and use of a deadly weapon to commit a felony. The district court sentenced Defendant to a term of imprisonment of life to life for the second degree murder conviction. The Supreme Court affirmed, holding that the district court (1) did not err in giving jury instructions on "sudden quarrel"; (2) did not err in giving a step instruction; (3) did not abuse its discretion in admitting autopsy photographs into evidence, as their potential prejudice did not substantially outweigh their probative value; and (3) did not err in imposing a sentence of life to life for second degree murder. View "State v. Abdulkadir" on Justia Law
State v. Pangborn
After a jury trial, Defendant was convicted and sentenced on nine counts involving actual or attempted violence or physical abuse upon persons with intellectual disabilities who required residential care. All counts arose from Defendant's employment at a developmental center and involved three adult residents at that facility. Defendant appealed, arguing primarily that the district court erred in permitting the jury to take into the jury room for use during deliberations the State's "road map," a chart admitted for demonstrative purposes only. The Supreme Court reversed and remanded for a new trial, holding that the district court abused its discretion in allowing the use of this demonstrative exhibit during jury deliberations without providing adequate limiting instructions or employing any other safeguards against prejudice.
View "State v. Pangborn" on Justia Law
State v. Dixon
After a jury trial, Defendant was convicted of first degree sexual assault, use of a weapon to commit a felony, and robbery. Defendant was determined to be a habitual criminal and sentenced to eighty to 140 years imprisonment. The Supreme Court affirmed, holding that the district court did not err in (1) overruling Defendant's two motions for mistrial; (2) overruling Defendant's pretrial motion to suppress the victim's identification of him as her assailant and in admitting her identification testimony at trial over Defendant's objection; (3) overruling Defendant's motion for a directed verdict; (4) determining that Defendant was a habitual criminal and sentencing him accordingly; and (5) sentencing Defendant. View "State v. Dixon" on Justia Law
State v. Valverde
Defendant was convicted of several counts of child abuse and sexual assault of a child. Defendant appealed, asserting, among other things, that the district court erred in receiving evidence under Neb. Rev. Stat. 27-414. Before trial, the trial court heard testimony from Defendant's prior victims, compared the testimony to the current charges, and made a conditional ruling of admissibility under 27-414. The court, however, prohibited the State from mentioning or presenting the section 27-414 evidence at trial until after the evidence of the current alleged victims. At trial, the State first presented the current evidence and then, outside the presence of the jury, the State alerted the court of its intent to call a prior victim as a witness, which the court allowed. The Supreme Court affirmed, holding (1) the district court did not err in receiving evidence under section 27-414; and (2) Defendant's other assignments of error were rejected. View "State v. Valverde" on Justia Law
State v. Rocha
After a jury trial, Defendant was convicted of first degree sexual assault of a child and four counts of child abuse. The Supreme Court reversed the judgments of conviction and vacated the sentences, holding (1) trial counsel was ineffective in failing to move to sever the sexual abuse charge from the child abuse charges, and Defendant was prejudiced by his trial counsel's deficient performance; and (2) trial counsel was ineffective in failing to request a limiting instruction that the jury could not consider the evidence of sexual assault to prove the charges of child abuse and vice versa, and Defendant was prejudiced by his trial counsel's deficient performance. Remanded. View "State v. Rocha" on Justia Law
State v. Yuma
Defendant, who was born in Zaire and immigrated to the United States after being granted asylum, pled no contest to two misdemeanors in 2010. Because of credit for time served, Defendant was released from custody on the same day he was sentenced. Defendant subsequently moved to withdraw his guilty pleas, claiming his defense counsel provided ineffective assistance because he did not properly advise Defendant of the immigration consequences of conviction at the time he entered the pleas. The district court denied Defendant's motion, concluding that it lacked jurisdiction because Defendant had completed his sentences and had been released from custody. The Supreme Court reversed, holding that the district court had jurisdiction to decide Defendant's common-law motion to withdraw his pleas because (1) the statutory remedy under Neb. Rev. Stat. 29-1819.02 did not apply and the motion asserted a constitutional issue which was not addressed under the Nebraska Postconviction Act; and (2) the fact that Defendant served his sentences was not relevant to the jurisdictional analysis. Remanded. View "State v. Yuma" on Justia Law