State v. Dickson

by
Defendant was charged with several offenses after shooting Albert Weibel during an attempted robbery. Before trial, Defendant moved to preclude Weibel from making an in-court identification of Defendant, arguing that in-court identification procedures are unnecessarily suggestive. The trial court denied the motion pursuant to State v. Smith. During trial, Weibel identified Defendant as his assailant. The jury subsequently found Defendant guilty of conspiracy to commit robbery in the first degree and assault in the first degree. The Appellate Court affirmed. Defendant appealed, arguing that the Supreme Court should overrule the holding in Smith and hold that inherently suggestive in-court identifications are inadmissible even in the absence of a suggestive pretrial identification procedure. The Supreme Court affirmed, holding (1) first time in-court identifications must be prescreened for admissibility by the trial court; (2) Weibel’s in-court identification was a first time in-court identification and should have been prescreened, and the failure to follow the procedures outlined in this opinion potentially violated Defendant’s due process rights; but (3) any due process violation was harmless beyond a reasonable doubt. View "State v. Dickson" on Justia Law