Justia Civil Rights Opinion Summaries
Articles Posted in Massachusetts Supreme Judicial Court
Commonwealth v. Don
The Supreme Judicial Court affirmed Defendant's convictions and the denial of his postconviction motions and declined to grant extraordinary relief pursuant to Mass. Gen. Laws ch. 278, 33E, holding that any error in the proceedings below was harmless.Defendant was convicted of murder in the first degree on the theory of deliberate premeditation and related charges. Before the Supreme Judicial Court was Defendant's appeal from his convictions, from the denial of his motion for a new trial, and from the denial of a motion to reconsider the denial of his new trial motion. The Supreme Judicial Court affirmed, holding (1) Defendant was not entitled to relief on his argument that newly discovered medical records warranted a new trial; (2) trial counsel was not constitutionally ineffective; (3) that the trial judge did not commit reversible error in admitting evidence of the defendant's prior, failed attempts to purchase a firearm; and (4) there was no reason for this Court to exercise its authority under Mass. Gen. Laws ch. 278, 33E to grant a new trial or to reduce or set aside the jury's verdict of murder in the first degree. View "Commonwealth v. Don" on Justia Law
Commonwealth v. Norris
The Supreme Judicial Court affirmed Defendant's conviction and the denials of Defendant's two motions for a new trial and declined to grant extraordinary relief pursuant to Mass. Gen. Laws ch. 278, 33E, holding that there was no error in the proceedings below.Specifically, the Court held (1) the trial court did not err by denying Defendant's motion for a required
finding of not guilty; (2) Defendant did not receive ineffective assistance of counsel; (3) the trial judge did not err in admitting allegedly unduly prejudicial evidence, failing to sanction the Commonwealth for the alleged destruction of exculpatory evidence, and failing to recuse herself; and (4) because there was no error, any allegations of unpreserved cumulative error were without merit. View "Commonwealth v. Norris" on Justia Law
Commonwealth v. Niemic
The Supreme Judicial Court vacated Defendant's conviction of murder in the first degree and remanded the case, holding that errors in the closing argument constituted a miscarriage of justice requiring that Defendant's conviction not stand.After Defendant was convicted of murder in the first degree the Supreme Judicial Court remanded the matter to the superior court, where the Commonwealth was given a choice of either vacating the conviction and retrying Defendant on the murder indictment or accepting a reduction of the verdict to manslaughter. The Commonwealth chose to pursue a new trial. After the trial, the jury again convicted Defendant of murder in the first degree. The Supreme Judicial Court again remanded the matter to the trial court, where the Commonwealth again may accept a reduction in the verdict or manslaughter or retry Defendant on the murder charge, holding that errors in the closing argument that were reprised from the first trial and newly introduced required a new trial, and this determination was reinforced by other issues that emerged on the Court's review pursuant to Mass. Gen. Laws ch. 278, 33E. View "Commonwealth v. Niemic" on Justia Law
Commonwealth v. Lee
The Supreme Judicial Court affirmed Defendant's conviction of murder in the first degree on theories of extreme atrocity or cruelty and felony-murder and related crimes and declined to exercise its authority under Mass. Gen. Laws ch. 278, 33E, holding that there was no reason to reverse the convictions or to reduce the degree of guilt.Specifically, the Court held (1) Defendant was not deprived of his constitutional right to a competent interpreter to interpret the trial proceeding into his native language; (2) despite Defendant's arguments to the contrary, trial counsel provided effective assistance; (3) there was no error in the jury instructions as to joint venture liability, the merger doctrine, and the duty to find the highest crime proved beyond a reasonable doubt; (4) the trial judge did not abuse his discretion in making certain rulings concerning the conduct of the trial; and (5) there was no reason to order a new trial or to reduce the degree of guilt. View "Commonwealth v. Lee" on Justia Law
Commonwealth v. Colon
The Supreme Judicial Court affirmed Defendant's conviction of murder in the first degree on a theory of felony-murder and the denial of his motion for a new trial and declined to grant relief under Mass. Gen. Laws ch. 278, 33E, holding that there was no reason to order a new trial or to reduce the verdict of murder in the first degree.On appeal, Defendant argued that a new trial was necessary because his trial counsel provided ineffective assistance. The Supreme Judicial Court affirmed Defendant's convictions and the denial of his motion for a new trial and declined to reduce the verdict under Mass. Gen. Laws ch. 278, 33E, holding that Defendant's counsel did not provide ineffective assistance and that there was no reason to order a new trial or to reduce the verdict of murder in the first degree. View "Commonwealth v. Colon" on Justia Law
Commonwealth v. Matta
The Supreme Judicial Court affirmed Defendant's conviction of possession of heroin with intent to distribute, reversed the denial of Defendant's motion for a new trial on the Mass. Gen. Laws ch. 94C, 32J (32J) charge, and vacated the conviction of a violation of section 32J, holding that counsel was ineffective in failing to challenge the sufficiency of the evidence regarding an essential element under section 32J.Defendant was convicted of possession of heroin with intent to distribute and with committing the crime within 100 feet of a public park, in violation of section 32J. The Supreme Judicial Court reversed in part, holding (1) the trial court did not err in denying Defendant's motion to suppress; (2) with respect to the "public park or playground" provision of section 32J, the intent to commit the underlying drug crime is sufficient, without additional proof of knowledge of park or playground boundaries required; (3) whether an area of land is a public park under section 32J is a question of fact properly left to the fact-finder; and (4) trial counsel was ineffective for failing to raise the variance between the park named in the indictment and the evidence presented at trial. View "Commonwealth v. Matta" on Justia Law
Commonwealth v. Yasin
The Supreme Judicial Court dismissed the Commonwealth's appeal from the trial court's allowance of Defendant's motion filed under Mass. R. Crim. P. 25(a), holding that the trial judge erred in reserving decision on Defendant's Rule 25(a) motion and that the error violated Defendant's right to due process and permeated the remainder of the trial.Defendant was charged with murder in the first degree. At the close of the Commonwealth's case Defendant moved for a required finding of not guilty pursuant to Rule 25(a). The judge reserved decision and submitted the case to the jury. The jury found Defendant guilty of murder in the second degree. Defendant subsequently renewed his motion under Rule 25(a). The judge allowed the motion, nunc pro tunc, to the close of the Commonwealth's case. The Commonwealth petitioned for relief under Mass. Gen. Laws ch. 211, 3. The Supreme Judicial Court denied relief, holding (1) in allowing the motion for a required finding nunc pro tunc after the jury returned their verdict the judge deprived the Commonwealth of its right to appeal from a postverdict acquittal; but (2) because the initial error in reserving decision on the motion implicated Defendant's constitutional rights and infected the remainder of the trial, the Commonwealth could not appeal. View "Commonwealth v. Yasin" on Justia Law
Commonwealth v. Larose
The Supreme Court vacated the order of the superior court judge allowing Defendant's motion to suppress all evidence related to an illegal seizure on the ground that the stop of his motor vehicle was not reasonable, holding that the police officer's stop of Defendant's motor vehicle for failing to drive entirely within a marked traffic lane was reasonable and, therefore, constitutional.Defendant was charged with a marked lanes violation in accordance with Mass. Gen. Laws. ch. 89, 4A and operating a motor vehicle while under the influence of intoxicating liquor. The judge allowed Defendant's motion to suppress, ruling that Defendant had not violated section 4A, and therefore, the stop of his motor vehicle was not reasonable. The Supreme Court vacated the judge's order, holding that Defendant violated section 4A when he crossed the right-side fog line one time for two or three seconds, and therefore, the ensuing traffic stop was reasonable. View "Commonwealth v. Larose" on Justia Law
Commonwealth v. Carrillo
The Supreme Judicial Court vacated Defendant's conviction of involuntary manslaughter but affirmed Defendant's conviction of distribution of heroin, holding that the Commonwealth did not introduce evidence showing that Defendant knew or should have known that his conduct created a high degree of likelihood of substantial harm.Defendant had provided a college student with the heroin that caused the student's death. Defendant was convicted of involuntary manslaughter and distribution of heroin. Defendant appealed, arguing, inter alia, that the judge erred in denying his request to instruct the jury on the lesser included offense of possession of heroin for personal use because the student asked Defendant to purchase heroin for him and Defendant did not profit from the sale. The Supreme Judicial Court affirmed in part and vacated in part, holding (1) under the circumstances of this case, the judge did not err in denying Defendant's request for a lesser included jury instruction on simple possession; but (2) there was insufficient evidence for a reasonable jury to conclude that Defendant's conduct created a high degree of likelihood that the student would suffer substantial harm for his use of the heroin. View "Commonwealth v. Carrillo" on Justia Law
Commonwealth v. Odgren
The Supreme Judicial Court affirmed Defendant's conviction of murder in the first degree on theories of deliberate premeditation and extreme atrocity or cruelty and declined to exercise its authority under Mass. Gen. Laws ch. 278, 33E to grant a new trial or to reduce or set aside the verdict, holding that none of Defendant's allegations of error warranted reversal.On appeal, Defendant argued that the trial judge erred in instructing the jury and in admitting conversations recorded while Defendant was in pretrial detention. The Supreme Judicial Court affirmed, holding (1) the jury instructions did not prejudice Defendant; and (2) there was no violation of Defendant's constitutional rights in the admission of the recorded conversations. View "Commonwealth v. Odgren" on Justia Law