This summary was computer-generated without any editorial revision. It is not official, has not been checked for accuracy, and is NOT citable.
Facts
- The Defendant and his neighbor (Victim) engaged in an argument that escalated when the Defendant threatened to shoot the Victim and his dogs, subsequently retrieving a knife from his house. The Defendant approached the Victim with the knife, leading the Victim to fear an imminent attack. The police arrived, and the Defendant discarded the knife, which was later found in his yard (para 3).
Procedural History
- Certiorari Granted, July 1, 2016, No. S-1-SC-35864: [Not applicable or not found]
- APPEAL FROM THE DISTRICT COURT OF MCKINLEY COUNTY, Louis E. DePauli Jr., District Judge: Defendant appeals from his convictions for aggravated assault with a deadly weapon and tampering with evidence.
Parties' Submissions
- Defendant-Appellant: Challenged the district court’s refusal to instruct the jury on the lesser included offense of simple assault, the decision to direct a verdict on the charged offense of assault with the intent to commit murder and then instruct the jury on aggravated assault with a deadly weapon, the failure to properly instruct the jury on the weapon being a deadly weapon, and argued against double jeopardy in retrying the Defendant on the newly added charge. Also requested a retrial or resentencing on the tampering with evidence charge (paras 1, 11-12).
- Plaintiff-Appellee (State): Conceded that the jury should have been instructed to find that Defendant’s weapon was a deadly weapon and that Defendant’s conviction for tampering with evidence should be remanded for a new trial. Opposed Defendant’s argument that double jeopardy bars retrial on the charge of aggravated assault with a deadly weapon (para 2).
Legal Issues
- Whether the district court erred in refusing to instruct the jury on the lesser included offense of simple assault.
- Whether the district court erred in directing a verdict on the charged offense of assault with the intent to commit murder and then instructing the jury on aggravated assault with a deadly weapon.
- Whether the district court failed to properly instruct the jury on whether the weapon was a deadly weapon for the charge of aggravated assault with a deadly weapon.
- Whether double jeopardy prevents the State from retrying Defendant on the newly added charge of aggravated assault with a deadly weapon.
- Whether the district court erred by admitting bad act evidence introduced through a statement Defendant allegedly made about robbing the neighborhood.
Disposition
- The conviction for aggravated assault with a deadly weapon is reversed, and the State may not retry Defendant on this charge.
- The conviction for tampering with evidence is affirmed, but the matter is remanded to the district court to correct the judgment and sentence to reflect that Defendant was convicted of tampering with an indeterminate crime.
Reasons
-
The Court found fundamental errors in the jury instructions for aggravated assault with a deadly weapon and identified a violation of the compulsory joinder requirement, which bars further prosecution of Defendant for aggravated assault with a deadly weapon. The Court accepted the State’s concession of fundamental error in the jury instruction for aggravated assault with a deadly weapon and concluded that the district court’s decision to instruct the jury on a different offense after the close of evidence deprived Defendant of proper notice. The Court also determined that the tampering with evidence conviction was tied to an indeterminate crime, not requiring retrial but amendment of the judgment and sentence (paras 4-38).
You are being directed to the most recent version of the statute which may not be the version considered at the time of the judgment.