Justia Kentucky Supreme Court Opinion Summaries
Articles Posted in Criminal Law
Commonwealth v. Douglas
The Supreme Court affirmed in part and reversed in part the decision of the Court of Appeals, holding that Defendant was entitled to a new persistent felony offender (PFO) and sentencing trial because because the proceedings were fundamentally unfair.A jury found Defendant guilty of robbery and two counts of kidnapping and found Defendant to be a PFO. On appeal, the Supreme Court reversed the two kidnapping charges, but before Defendant was retried on the kidnapping charges, he filed a RCr 11.42 motion alleging that he received ineffective assistance of counsel stemming from a juror’s presence on the jury who was biased toward Defendant. The circuit court denied the motion. The Court of Appeals reversed and remanded for a new trial. The Supreme Court held (1) the guilt phase of trial was not fundamentally unfair where no one knew of the juror’s bias toward Defendant during voir dire or the guilt phase of the trial; but (2) once the juror realized that he was Defendant’s former victim prejudice could be presumed, and Defendant was entitled to a new PFO and sentencing trial. View "Commonwealth v. Douglas" on Justia Law
Cummings v. Commonwealth
The Supreme Court affirmed the judgment of the circuit court convicting Defendant of two counts of first-degree assault and for being a first-degree persistent felony offender and his sentence of thirty-five years’ imprisonment, holding that there was no reversible error in the proceedings below.Specifically, the Court held (1) the trial court erred by failing to excuse Juror #25, who served as a member of the jury even though he was peremptorily struck by Defendant, but the error was not palpable; and (2) the trial court did not abuse its discretion by admitting recorded portions of Defendant’s police interrogation. View "Cummings v. Commonwealth" on Justia Law
Posted in:
Criminal Law
Brown v. Commonwealth
The Supreme Court affirmed the judgment of the trial court convicting Defendant of complicity to kidnapping, complicity to attempted murder, and complicity to first-degree robbery and sentencing Defendant to a total of forty years’ imprisonment, holding that there was no reversible error in the proceedings below.Specifically, the Court held (1) the trial court did not err in denying Defendant’s motion for directed verdict on his kidnapping charge; (2) Defendant was not tried in the wrong county; (3) Defendant suffered no undue prejudice when he was denied a continuance; (4) any error in the admission of the victim’s statements was harmless, and there was no prosecutorial misconduct in references to the victim’s statements; and (5) the jury instructions contained no unanimity error. View "Brown v. Commonwealth" on Justia Law
Posted in:
Criminal Law
McCoy v. Commonwealth
The Supreme Court affirmed the judgment of the trial court convicting Defendant of complicity to kidnapping, complicity to first-degree assault, and complicity to theft by unlawful taking and sentencing Defendant to twenty years’ imprisonment, holding that there was no reversible error in the proceedings below.Specifically, the Court held that (1) the trial court did not abuse its discretion when denying Defendant’s motions for continuances; and (2) the trial court did not abuse its discretion by denying Defendant's motions for directed verdict on his charges. View "McCoy v. Commonwealth" on Justia Law
Posted in:
Criminal Law
Roach v. Kentucky Parole Board
The Supreme Court held that the Kentucky Parole Board’s revocation hearing in this case was an adjudicative function, a discretionary act for which the Parole Board enjoyed absolute immunity from liability for its decisions whether to grant, deny, or revoke parole.Phyllis Roach was sentenced to ten years’ imprisonment with a three-year conditional discharge period after she pled guilty to sodomy in the first degree. After she was released, Roach was charged with violating the terms of her postincarceration supervision. At a parole revocation hearing, the Parole Board sentenced Roach to serve fourteen months, the remainder of her conditional discharge period. Roach filed a complaint with the Board of Claims seeking damages for her “wrongful incarceration.” The Board of Claims rejected her claims. The circuit court reversed, finding that the Parole Board was grossly negligent in applying an unconstitutional sentence. The Court of Appeals reversed. The Supreme Court affirmed, holding that the Board’s adjudication of Roach’s rights as to whether she violated her postincarceration release requirements was a quasi-adjudicative function and therefore a discretionary act for which the Board enjoyed absolute immunity. View "Roach v. Kentucky Parole Board" on Justia Law
Cox v. Commonwealth
The Supreme Court affirmed the judgment of the circuit court convicting Defendant of the murder of his four-month-old son and his sentence of life imprisonment, holding that there was no reversible error in the proceedings below.Defendant was convicted after a jury trial. The Supreme Court affirmed the conviction and sentence, holding (1) the jury instructions did not violate Defendant’s right to a unanimous jury verdict; and (2) the trial court did not commit reversible error when it admitted certain evidence of text messages under Ky. R. Evid. 404(b) and 403. View "Cox v. Commonwealth" on Justia Law
Posted in:
Criminal Law
Little v. Commonwealth
The Supreme Court affirmed the judgment of the circuit court convicting Defendant of two counts of trafficking in a controlled substance in the first degree and other drug-related offenses and his sentence of twenty years’ imprisonment, holding that there was no reversible error in this case.Specifically, the Court held (1) the Commonwealth violated the notice requirement set forth in Ky. Rev. Stat. 508 by waiting until forty hours prior to trial to disclose a confidential informant’s identity, but the late disclosure did not compel a new trial; (2) Defendant’s claims of error with respect to the complicity to trafficking in a controlled substance in the first degree conviction were unavailing; (3) the parole officer’s “good time” credit testimony presented during the penalty phase of trial did not violate Defendant’s right to due process; and (4) the prosecutor’s closing argument during the penalty phase did not amount to flagrant misconduct. View "Little v. Commonwealth" on Justia Law
Posted in:
Criminal Law
Jacobi v. Holbert
The Supreme Court affirmed the holdings of the circuit court and court of appeals determining that public defenders, as employees of the Department of Public Advocacy (DPA), a statutorily-created agency of the Commonwealth, are entitled to assert the defense of qualified immunity within the proper context.After he was discharged from custody, Plaintiff filed a malpractice action against his former attorney, alleging that as a result of Defendants negligent advice regarding parole eligibility, Plaintiff had served longer in prison than he expected when entering his guilty plea. The circuit court granted Defendant’s motion to dismiss, finding that Defendant was entitled to qualified official immunity from suit as an employee of the DPA. The Supreme Court affirmed, holding (1) public defenders performing discretionary tasks in good faith and within the scope of their employment are entitled to assert qualified immunity to any negligence claim; and (2) Defendant was entitled to the defense of qualified immunity under the circumstances of this case. View "Jacobi v. Holbert" on Justia Law
Posted in:
Criminal Law, Professional Malpractice & Ethics
Commonwealth v. Lane
The Supreme Court affirmed the decision of the court of appeals reversing Defendant’s convictions for possession of a controlled substance, first degree, first offense, and for tampering with physical evidence, holding that traffic stop in this case was unreasonably prolonged, and therefore, the incriminating evidence must be suppressed.Defendant’s convictions were based on evidence discovered after a canine sniff search of Defendant’s vehicle conducted during a traffic stop. The court of appeals concluded that the sniff search prolonged the traffic stop and that the incriminating evidence should have been suppressed. The Supreme Court affirmed, holding that the free air sniff of Defendant’s vehicle impermissibly extended the duration of the stop. View "Commonwealth v. Lane" on Justia Law
Johnson v. Commonwealth
The Supreme Court affirmed Appellant’s conviction of first-degree trafficking in a controlled substance, felony possession of a firearm, and being a first-degree persistent felony offender and sentence of twenty years’ imprisonment, holding that Defendant’s arguments on appeal were unavailing.Specifically, the Court held (1) any minor discrepancies in the search warrant did not require suppression of the evidence; (2) Appellant’s right to be free from double jeopardy was not violated because the trial court instructed the jury on two counts of trafficking instead of one; (3) it was not clearly unreasonable for the jury to convict Appellant of trafficking in heroin and methamphetamine; (4) the trial court did not abuse its discretion in denying Appellant’s request for expert funding; and (5) the length of Appellant’s sentence did not violate Ky. Rev. Stat. 532.110(1)(c) or 532.080(6)(b). View "Johnson v. Commonwealth" on Justia Law