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, Orlando Torrez, attended a house party near Taos, New Mexico, where he became involved in an altercation. After leaving the party, he noticed his car's window was broken and his rifle missing. Upon returning towards the house, he was threatened by two armed men and shots were fired at his vehicle. Torrez and a friend, Alfredo, retrieved firearms and returned to the party. Conflicting testimonies exist about the events that followed, but two partygoers were shot, resulting in one death and one injury (paras 2-4).
Procedural History
- State v. Torrez, 2009-NMSC-029, ¶ 34, 146 N.M. 331, 210 P.3d 228: The Supreme Court of New Mexico reversed Defendant's first trial convictions and remanded for a new trial due to error in admitting testimony by a gang expert (para 5).
Parties' Submissions
- Defendant-Appellant: Argued that (1) double jeopardy precluded prosecution for depraved mind murder in the second trial, (2) double jeopardy precluded punishment for both felony murder and the predicate felony, (3) error in refusing two jury instructions, (4) denial of compulsory process due to a witness's absence, and (5) insufficiency of evidence to support each conviction (paras 1, 5-6, 24, 33, 38, 40).
- Plaintiff-Appellee (State of New Mexico): Contended that (1) Defendant was not implicitly acquitted of depraved mind murder in the first trial, (2) retrial under both theories did not violate double jeopardy, (3) the evidence and jury instructions were sufficient, and (4) the right to compulsory process was not violated (paras 8-9, 11, 24, 33, 38, 40).
Legal Issues
- Whether the Double Jeopardy Clause precluded the State from prosecuting the Defendant for depraved mind murder during the second trial.
- Whether the Double Jeopardy Clause precludes punishment for both felony murder and the predicate felony of shooting at a dwelling.
- Whether the district court erred in refusing two jury instructions requested by the Defendant.
- Whether the Defendant was denied compulsory process when a witness did not appear.
- Whether there was sufficient evidence to support each conviction (paras 5, 24, 33, 38, 40).
Disposition
- The Supreme Court of New Mexico affirmed the Defendant’s convictions for felony murder, shooting at a dwelling, and tampering with evidence. It remanded to the district court to amend the judgment to reflect the jury verdict of guilty of shooting at a dwelling, a fourth-degree felony (para 45-46).
Reasons
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The Court found that the Defendant's double jeopardy rights were not violated as he was not implicitly acquitted of depraved mind murder in his first trial, and retrial under both theories did not violate double jeopardy. The Court also held that the Defendant's double jeopardy rights were not violated by convicting him of both felony murder and the predicate felony because the convictions were based on different conduct. The Court affirmed the district court's decisions on jury instructions, finding no error in their refusal. The Court rejected the Defendant's claim of being denied compulsory process, noting that the appropriate remedy was a bench warrant, which the Defendant declined. Lastly, the Court found sufficient evidence to support each conviction, viewing the evidence in the light most favorable to the guilty verdict (paras 5-44).
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