Justia Oregon Supreme Court Opinion Summaries
Articles Posted in Criminal Law
Oregon v. Riley
Defendant Jemaell Riley was convicted of committing multiple crimes with two accomplices. His convictions for six of those counts depended almost entirely on the testimony of his accomplices, who had entered into a cooperation agreement with the state. Defendant contended that he was entitled to a judgment of acquittal on those counts, because the accomplice testimony had not been corroborated by “other evidence” as required by ORS 136.440(1). The Court of Appeals agreed with defendant and reversed his convictions on those counts. On review, the Oregon Supreme Court affirmed the Court of Appeals, and reversed those relevant portions of the circuit court’s judgment of conviction. The matter was remanded to the circuit court for further proceedings. View "Oregon v. Riley" on Justia Law
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Constitutional Law, Criminal Law
White v. Premo
Along with his twin brother, Lydell, petitioner Laycelle White was charged with and convicted of aggravated murder and murder, receiving a sentence of life with the possibility of parole for the murder of one victim and an 800-month determinate sentence for the murder of the other. At the time, petitioner was 15 years old. In a petition for post-conviction relief, petitioner argued the 800-month sentence for one murder was a de facto life sentence without parole that had to comport with the United States Supreme Court’s decision in Miller v. Alabama, 567 US 460 (2012). Petitioner argued the record in this case, decided 17 years before Miller, did not establish that the trial court made the required “irreparable corruption” finding and that his sentence therefore was invalid. The Oregon Supreme Court agreed with this reasoning and reversed the decisions of the Court of Appeals, and of the post-conviction court, and remanded to the post-conviction court for further proceedings. View "White v. Premo" on Justia Law
White v. Premo
In this post-conviction proceeding, petitioner Lydell White, a juvenile offender, was convicted along with his twin brother Laycelle for aggravated murder and murder. He contended on petition for post-conviction relief that the 800-month sentence he was serving for a single homicide was the functional equivalent of life without parole and was imposed without a hearing that satisfied the procedural and substantive requirements of the Eighth Amendment. The Oregon Supreme Court agreed, finding petitioner was not procedurally barred from seeking post-conviction relief, and that his sentence was subject to the protections of Miller v. Alabama, 567 US 460 (2012). “Because this record does not convince us that the sentencing court determined that petitioner’s crime reflects irreparable corruption, we reverse the decisions of the Court of Appeals and the post-conviction court and remand to the post-conviction court for further proceedings.” View "White v. Premo" on Justia Law
Oregon v. Savinskiy
While defendant Yevgeniy Savinskiy was incarcerated and awaiting trial on pending criminal charges, law enforcement officers learned he solicited another inmate to harm the prosecutor and murder two of the anticipated witnesses for the prosecution. Without notifying the lawyer who was representing defendant on the pending charges, the officers arranged for the other inmate to secretly record defendant in a conversation about his new criminal activity, and the State later charged defendant with multiple new offenses arising out of that new criminal activity. The Court of Appeals held that the recorded questioning violated defendant’s Article I, section 11, right to counsel “[i] n all criminal prosecutions,” and precluded the State from using defendant’s incriminating statements to convict him of the new offenses. The Oregon Supreme Court disagreed: defendant’s Article I, section 11, right to counsel, which arose because of the initially pending charges, was not a right to limited police scrutiny of new criminal activity in which defendant was engaging to illegally undermine the pending charges. View "Oregon v. Savinskiy" on Justia Law
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Constitutional Law, Criminal Law
United States v. Lawrence/Ankeny
The Oregon Supreme Court declined to answer certified questions posed by the United States Court of Appeals for the Ninth Circuit. In consolidated cases, the Ninth Circuit certified three questions concerning how predicate Oregon convictions for first- and second-degree robbery should be treated for certain issues that arise under federal sentencing law. When the United States Supreme Court decided Stokeling v. United States, 586 US ___, 139 S Ct 544, 202 L Ed 3d 512 (2019), "it appears to have significantly altered the legal landscape about how predicate robbery offenses are treated for purposes of federal sentencing." The Ninth Circuit maintained that its precedent remained good law after Stokeling and that a question remained as to whether Oregon’s second-degree robbery statute was “divisible” and whether jury concurrence on particular elements of that statute was required. For several reasons, the Oregon Court concluded the questions that remained were not subject to review on certification. View "United States v. Lawrence/Ankeny" on Justia Law
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Constitutional Law, Criminal Law
Oregon v. Lien
Police officers discovered incriminating drug-related evidence in defendants Tracy Lien and Travis Wilverdin's garbage by having a sanitation company manager specially pick up defendants’ garbage bin on trash pick-up day, transport it to the sanitation company’s facilities, and turn it over to the officers, who then searched the bin. After the trial court denied their motions to suppress that evidence, defendants were convicted on drug-related charges. The Court of Appeals affirmed those convictions, concluding that, although defendants retained protected possessory and privacy interests in the garbage while their bin rested at the curb, the police did not violate their interests by taking possession of the bin and searching its contents, because defendants had lost their interests when the sanitation company picked up their garbage bin. After review, the Oregon Supreme Court held defendants retained protected privacy interests in their garbage under Article I, section 9 of the Oregon Constitution, which the police invaded when they searched defendants’ garbage bin without a warrant. Accordingly, the trial court erred by denying defendants’ motions to suppress evidence, and the Supreme Court reversed the decision of the Court of Appeals and the judgments of the circuit court, and remand for further proceedings before the circuit court. View "Oregon v. Lien" on Justia Law
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Constitutional Law, Criminal Law
Oregon v. Sparks
Defendant Patrick Sparks appealed the trial court’s imposition of three consecutive probation revocation sanctions, the Court of Appeals affirmed, and the Oregon Supreme Court allowed defendant’s petition for review. On review, defendant argues that, under a provision of the sentencing guidelines, OAR 213-012-0040(2)(b), in order for the trial court to impose three consecutive sanctions as it did, it had to find three separate violations. The Supreme Court did not address defendant’s argument regarding OAR 213-012-0040(2)(b), because the trial court found ten separate violations. Specifically, the trial court found one violation of a condition that defendant not use illegal drugs and nine violations of a condition that defendant not contact the victim of his crimes. Defendant contends the trial court erred in finding nine violations of the no-contact condition; instead, he argued the State alleged only a single violation of the no-contact condition and, therefore, failed to provide sufficient notice to support a finding of more than one violation of that condition. The Supreme Court rejected defendant’s argument that the state’s notice was insufficient to support the trial court’s findings of multiple violations of the no-contact provision. Therefore, even under defendant’s interpretation of OAR 213-012-0040 (2)(b), the trial court could find enough separate violations to support the consecutive sanctions it imposed. View "Oregon v. Sparks" on Justia Law
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Constitutional Law, Criminal Law
Oregon v. Uroza-Zuniga
This case began with Petitioner Victor Uroza-Zuniga's arrest for public drinking, in violation of the Beaverton, Oregon City Code. That arrest led to a search, a charge of drug possession, a denied motion to suppress, a bench trial, conviction for unlawful possession of methamphetamine, and an unsuccessful appeal. Beaverton prohibited drinking alcoholic beverages in any public place. Yet ORS 430.402(1)(b) prohibited Beaverton, along with all other local governments, from regulating or proscribing “[p]ublic drinking, except as to places where any consumption of alcoholic beverages is generally prohibited.” Defendant argued the state statute preempted Beaverton’s public drinking ordinance, making his arrest illegal and the fruits of that arrest subject to suppression. The state, along with amici curiae the City of Beaverton and the League of Oregon Cities, argued that it fell within ORS 430.402(1)(b)’s exception, and it was therefore not preempted. The Oregon Supreme Court held Beaverton’s public drinking ordinance was not preempted and affirmed defendant’s conviction. View "Oregon v. Uroza-Zuniga" on Justia Law
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Constitutional Law, Criminal Law
Chavez v. Oregon
In 1999, petitioner Esteban Chavez pled guilty to delivering cocaine. In 2011, he petitioned for post-conviction relief, relying on Padilla v. Kentucky, 559 US 356 (2010), and arguing his trial attorney failed to advise him about the immigration consequences of his guilty plea in violation of the Sixth Amendment. The trial court dismissed the petition both because it was untimely and because Padilla did not apply retroactively. The Court of Appeals affirmed the post-conviction court’s judgment on the latter ground. On review, petitioner challenged both grounds the trial court identified for dismissing his petition. The Oregon Supreme Court held that although the petition was timely, the only retroactivity argument that petitioner raised on review, that Oregon’s post-conviction statutes required all new constitutional rules be applied retroactively, was not well taken. Accordingly, the Supreme Court affirmed the Court of Appeals decision and the trial court’s judgment. View "Chavez v. Oregon" on Justia Law
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Constitutional Law, Criminal Law
Orgon v. Black
A teenage boy, GP, who had been dating defendant Jonathan Black’s daughter, reported that defendant had had inappropriate sexual contact with him at defendant’s residence. That report triggered an investigation, and that investigation uncovered four other teenage victims, one of whom was JN. Ultimately, defendant was indicted and proceeded to a jury trial. Defendant sought to offer the testimony of Dr. Johnson, a child psychologist, to explain the established protocols for interviewing children and to identify portions of the interviews of GP and JN that, in his opinion, did not meet those protocols. The judicially created "vouching rule" precludes one witness from commenting on the credibility of another witness’s trial or pretrial statements. This case required the Oregon Supreme Court to determine whether certain evidence defendant sought to offer at his trial violated that rule. After review of the specific facts presented by this case, the Supreme Court concluded that the proffered testimony did not violate the vouching rule and that the trial court’s preclusion of that evidence was not harmless. Therefore, the Court reversed the decision of the Court of Appeals, and the judgment of the circuit court, and remanded to the circuit court for further proceedings. View "Orgon v. Black" on Justia Law
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Constitutional Law, Criminal Law