Showing posts with label Nevada Supreme Court. Show all posts
Showing posts with label Nevada Supreme Court. Show all posts

Wednesday, May 22, 2013

OJ Simpson's Chances For A New Trial

OJ Simpson's bid to get a new trial in his Nevada convictions for 19 various felony counts ranging from kidnapping, assault, robbery and the use of a deadly weapon, resulted in a five-day evidentiary hearing from May 13 to May 17, 2013, last week.  Simpson's Petition was filed with the Clark County District Court over a year ago on May 12, 2012.  Various witnesses testified, including Simpson himself, a first in any of his criminal prosecutions, and Simpson's trial attorney, Yale Galanter, whom Simpson claims was ineffective at trial, entitling Simpson to a new trial.  At the evidentiary hearing, Galanter passionately denied any error or omission on his part during Simpson's trial.

Simpson's claim of ineffective assistance of counsel is not uncommon when convicted criminal defendants have exhausted all their appeals as of right.  The claim is filed in the form of a Petition for a Writ of Habeas Corpus and is based on an allegation that the petitioner's Sixth Amendement Constitutional right to assistance of counsel was violated and thus unvalidates the petitioner's conviction.  The petition must first be filed in the trial court.  The standard for showing ineffective assistance of counsel rising to a level that violates a defendant's constitutional rights to such a degree that would require a defendant to obtain a new trial is set forth in the 1984 United States Supreme Court decision of Strickland v. Washington, as adopted by the Nevada Supreme Court.in the case entitled Warden v. Lyons.

Under the Strickland standard, in order to establish a claim of ineffective assistance of trial counsel sufficient  to invalidate a judgement of conviciton, Simpson is required to denonstrate (1) that his counsel's performance fell below an objective standard of reasonableness and (2) that his counsel's errors were so severe that they rendered the jury's verdict unreliable.  The Nevada Supreme Court has held that the severity of the errors must have prejudiced the defendant to such a degree that but for the errors, the verdict would probably have been differenct.  According to Nevada case law, in deciding the petition the trial court need not address both components of the inquiry if Simpson makes an insufficient showing on either one.

The Strickland test is a high bar for a convicted defendant to overcome, and in Nevada, defendants' petitions have been denied even in cases where trial counsel admitted to embezzling large amounts of their clients' money, and in cases where a juror subsequently provided an affidavit indicating he witnessed the defendant's trial counsel sleeping during the trial.  Statistically speaking, it is not likely that Simpson's petition will be granted, so we may see an appeal before the Nevada Supreme Court in the future.

Saturday, September 26, 2009

Nevada Supreme Court Denies OJ's Request for Bail Pending Appeal

September 4, 2009

OJ Simpson will remain incarcerated while his appeal is pending.  In a two-page Order, the Court concluded that Simpson had not met his "heavy burden" to convince the Court he is not a flight risk in light of the "serious, nonprobationable, violent offenses" that Simpson was aquitted of.

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Monday, August 3, 2009

Nevada High Court Hears Oral Argument on OJ's Request for Bail Pending Appeal

Today, the Nevada Supreme Court heard oral argument from Yale Galanter, counsel for OJ Simpson, in Mr. Simpson's request for bail pending his appeal of twelve guilty verdicts, including armed robbery and kidnapping. The Nevada convictions stemmed from the well publicized events of September 13, 2007, in which Simpson and others accompanying him forced their way into a Palace Station hotel room, carrying guns and demanding the occupants turn over OJ Simpson football memorabilia. On December 5, 2008, the trial court sentenced Simpson to 15 years to life with the possibility of parole in six years.

Citing the factors in Bergna v. State, 120 Nev. __ (2004), Mr. Galanter argued before the three justice panel that Simpson is not a flight risk because Simpson's noteriety makes it impossible for him to flee or hide without intense media scrutiny. (One can only speculate that Mr. Galanter had in mind Mr. Simpson's prior failed attempt to flee arrest in 1994.) Galanter also argued that the errors by the trial judge in Simpson's trial were "so egregious and so outrageous" that there is a high likelihood that Simpson's convictions will be overturned on appeal. Of particular note, Galanter argued in rebuttal that the trial court's failure to instruct the jury on specific versus general intent rendered the verdicts invalid.

Justice Siatta expressed concern about the public policy considerations regarding granting Simpson's bail request and the precedent it could set among all convicted appellants seeking bail pending appeal. David Rogers, counsel for the State of Nevada, reiterated Justice Siatta's concerns and emphasized the high burden placed on Simpson under Bergna given the violent nature of the crimes and the significant sentence imposed. Mr. Rogers also opined that nothing would prevent Simpson from taking "a short boat ride" from Florida to another country to escape justice.

Rogers indicated the State's Response Brief to Simpson's underlying appeal would be filed sometime within two weeks.

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