Justia New York Court of Appeals Opinion Summaries
Articles Posted in Constitutional Law
People v. Rodriguez
Defendant was convicted of four counts of criminal possession of a forged instrument in the second degree. At issue was whether the evidence in this case was legally sufficient to convict defendant of criminal possession of a forged instrument in the second degree. The court held that the evidence adduced at trial established more than defendant's knowing possession of four forged instruments, it provided a solid basis for the jury to infer that defendant had the requisite intent to defraud, deceive, or injure and for it to conclude rationally that defendant was guilty beyond a reasonable doubt. Accordingly, the judgment was affirmed. View "People v. Rodriguez" on Justia Law
People v. Rosario; People v. Parada
Defendants were charged with crimes related to the sexual abuse of a minor. At issue was whether prior consistent statements alleging sexual abuse were properly admitted under the prompt outcry rule or, alternatively, in the Rosario case, to rebut a claim of recent fabrication. The court held that, in both appeals, the Appellate Division's decision was affirmed, which concluded that the prior consistent statement was inadmissible in Rosario, and admissible in Parada. View "People v. Rosario; People v. Parada" on Justia Law
The People v. Crampe; The People v. Wingate
The common question in these appeals was whether the courts fulfilled their responsibility to make a "searching inquiry" before allowing defendants to give up the right to a lawyer and conduct their defenses pro se. The court held that, in both cases, the inquiries were deficient because defendants were not adequately advised of the dangers and disadvantages of self-representation. View "The People v. Crampe; The People v. Wingate" on Justia Law
The People v. Brown
Following a nonjury trial, the County Court acquitted defendant of intentional assault in the first degree, but convicted her of second-degree reckless assault and endangering the welfare of a child. On appeal, defendant argued that the evidence was legally insufficient to support her conviction for reckless assault. The court held that the order of the Appellate Division should be modified by reducing defendant's conviction for reckless assault in the second degree to criminally negligent assault in the third degree, and by remitting to the Appellate Division for further proceedings. View "The People v. Brown" on Justia Law
The People v. Robinson
Defendant was charged with criminal possession of a weapon in the third degree. At issue was whether the County Court's error in sustaining the prosecutor's objection to defense counsel's question of defendant was harmless. The court held that the Appellate Division properly found that the County Court erred when it denied defendant an opportunity to explain fully the statements he made while in police custody since defendant's statements were both pertinent and probative. The court held, however, that the error was not harmless. The court held that defendant's remaining contentions lacked merit. The order was reversed and a new trial ordered. View "The People v. Robinson" on Justia Law
In the Matter of World Trade Center Bombing Litigation. Steering Committee v. The Port Authority of New York and New Jersey
This appeal involved litigation that arose from the 1993 terrorist bombing incident in the parking garage of the World Trade Center complex (WTC). At issue was whether the Port Authority of New York and New Jersey (Port Authority) was performing a governmental or proprietary function in its provision of security at the premises. And if the Port Authority was engaged in such a governmental function, whether it exercised discretion in its security decision-making to entitle it to the common-law defense of governmental immunity. The court held that, pursuant to the court's precedents, the provision of security for the benefit of a greater populace involved the allocation of police resources and constituted the performance of a governmental function. The court also held that the governmental immunity doctrine required it to find that the Port Authority was insulated from tortious liability where the court afforded deference to the exercise of discretion by the officials of municipalities and governmental entities. View "In the Matter of World Trade Center Bombing Litigation. Steering Committee v. The Port Authority of New York and New Jersey" on Justia Law
Yatauro, et al. v. Mangano, et al.
Plaintiffs commenced this hybrid declaratory judgment action/article 78 proceeding, seeking a declaration that the implementation of Local Law No. 3-2011 in relation to the November 8, 2011 general election was null and void for lack of compliance with the Nassau County Charter. At issue was whether the metes and bounds descriptions in Local Law No. 3-2011 applied to the 2011 general election or whether they were the first part of a three-step process to take effect in 2013. The court held that Supreme Court properly declared that Local Law No. 3-2011 was in accord with Nassau County Charter 112, but that its implementation was null and void in connection with the November 8, 2011 general election for lack of compliance with Nassau County Charter 113 and 114. Accordingly, the order of the Appellate Division, insofar as appealed from, should be reversed, without costs, and the order and judgment of Supreme Court reinstated. View "Yatauro, et al. v. Mangano, et al." on Justia Law
People v. Acevedo; People v. Collado
Benito Acevedo was convicted of criminal sale of controlled substance in the third degree and possession of a controlled substance in the third degree and sentenced as a predicate felony offender with a prior violent felony to a prison term of six years and three years of post-release supervision. Dionis Collado was convicted of two counts of second degree robbery and was then adjudged a second violent felony offender and sentenced to concurrent eight-year prison terms. At issue was whether a resentencing sought by a defendant to correct an illegally lenient sentence was effective to temporally resituate the sentence and thus alter the underlying conviction's utility as a predicate for enhanced sentence. The court held that the decisive feature in these cases was that the sentencing errors defendants sought to correct by resentencing were errors in their favor. The court also held that resentence was not a device appropriately employed simply to alter a sentencing date and thereby affect the utility of a conviction as a predicate for the imposition of enhanced punishment. Therefore, the Sparber relief defendants obtained was not effective to avoid the penal consequences of reoffending. Accordingly, the judgment of the Appellate Division was reversed and the order of the Supreme Court reinstated. View "People v. Acevedo; People v. Collado" on Justia Law
People v. Santiago
Defendant was convicted for a 2003 drug transaction and sentenced to prison. On November 25, 2009 defendant filed an application for resentencing under the 2009 Drug Law Reform Act (DLRA), CPL 440.46. On December 3, 2009, before the application had been ruled on, she was released on parole. At issue was whether defendant was eligible for resentencing because she was not presently in custody. The court held that a prisoner who applied for resentencing before being paroled was not barred from obtaining resentencing after her release where the statute's plain language only stated that an offender must be in custody when he or she applied for resentencing but did not require that custody continue until the application was decided. View "People v. Santiago" on Justia Law
People v. Paulin; People v. Pratts; People v. Phillips
Defendants committed class B felonies involving narcotics and were sentenced to indeterminate prison terms. All defendants were subsequently paroled, violated their parole, and were sent back to prison. After the enactment of the 2009 Drug Law Reform Act (DLRA), CPL 440.46, defendants applied for resentencing. At issue was whether the DLRA provided relief to reincarcerated parole violators. The court held that prisoners who have been paroled, and then reincarcerated for violating their parole, were not for that reason barred from seeking relief under the statute where the statute's plain language stated no such exception. View "People v. Paulin; People v. Pratts; People v. Phillips " on Justia Law