Justia Connecticut Supreme Court Opinion Summaries
Articles Posted in Constitutional Law
Anderson v. Comm’r of Corr.
After a jury trial, Petitioner was convicted of sexual assault in the first degree and risk of injury to a child. The Appellate Court affirmed the convictions on direct appeal. Petitioner later sought habeas relief, claiming that his appellate counsel provided ineffective assistance by failing to investigate Petitioner’s claims that he had a history of sexually transmitted diseases and to introduce evidence concerning whether the victim had contracted any such diseases. The habeas court rejected Petitioner’s claim. The Appellate Court affirmed. The Supreme Court affirmed, holding that Petitioner failed to demonstrate that he was prejudiced by any deficiency in counsel’s performance. View "Anderson v. Comm’r of Corr." on Justia Law
State v. Mangual
After a jury trial, Defendant was found guilty of two drug-related offenses following a police investigation that culminated in the seizure of heroin from defendant’s home pursuant to a search warrant. Defendant appealed, arguing, among other things, that the trial court erred in denying her motion to suppress certain statements because the statements had been obtained when a police officer interrogated her during the execution of the search warrant without first advising her in accordance with Miranda v. Arizona. The appellate court affirmed the convictions, determining that, at the time of the police questioning, Defendant was not in custody for purposes of Miranda, and therefore, Miranda warnings were not required. The Supreme Court reversed, holding (1) Defendant was in custody when she was questioned by the police officer, and, as a result, the police were required to advise her of her rights under Miranda; and (2) the Miranda violation was not harmless beyond a reasonable doubt.View "State v. Mangual" on Justia Law
State v. Smith
After a jury trial, Defendant was convicted of one count of murder and one count of felony murder. The Supreme Court affirmed, holding that the trial court (1) properly admitted evidence of uncharged sexual misconduct; (2) properly rejected Defendant’s claim under Brady v. Maryland that he was denied a fair trial because the state failed to disclose an alleged agreement or understanding with a key witness that she would be given a benefit if she testified for the state, as there was no agreement or understanding between the witness and the state prior to her testimony; and (3) properly permitted the prosecutor to exercise a peremptory challenge with respect to an African-American venireperson. View "State v. Smith" on Justia Law
State v. Andrews
Defendant was convicted after a jury trial of one count of felony murder. The Supreme Court affirmed, holding (1) the trial court’s decision to preclude the testimony of a key defense witness did not rise to the level of a constitutional violation, nor was it improper on purely evidentiary grounds; (2) Defendant’s claims of prosecutorial impropriety during cross-examination and closing argument were without merit; (3) Defendant’s argument that his conviction was fundamentally unfair because the State relied on a different theory in his case than in the case against an alleged coassailant was without merit; (4) the evidence was sufficient to support Defendant’s conviction for felony murder; and (5) the trial court did not err in denying Defendant’s motion to suppress oral and written statements to the police confessing his role in the murder. View "State v. Andrews" on Justia Law
State v. Buckland
After a jury trial, Defendant was convicted of operating a motor vehicle while under the influence of intoxicating liquor and operating a motor vehicle while having an elevated blood alcohol content. Defendant was also convicted of speeding. The Supreme Court affirmed the judgment of the trial court, holding (1) the trial court properly denied Defendant’s motion to suppress breath test reports, as the state experts who testified regarding certain breath tests fulfilled the requirements of Melendez-Diaz v. Massachusetts; and (2) the trial court properly denied Defendant’s motion to suppress the evidence resulting from his arrest, as the constable who made the arrest in the present case was a duly qualified special constable with the power to make the arrest. View "State v. Buckland" on Justia Law
State v. Kelly
Defendant was convicted on a conditional plea of nolo contendere of possession of narcotics with intent to sell. Defendant appealed the district court’s denial of his motion to suppress evidence that the police discovered after stopping Defendant incident to the detention of another individual, who was wanted for a violation of probation, while Defendant and the individual were walking together on a sidewalk. Defendant appealed, arguing that the officers had seized him in violation of Terry v. Ohio because they lacked a reasonable and articulable suspicion that Defendant had committed or was about to commit a crime. The Appellate Court affirmed the denial of Defendant’s motion to suppress, concluding that it is permissible for the police to briefly detain the companion of a suspect, incident to the lawful stop of the suspect, even though the police lack reasonable suspicion to believe the companion has engaged in or is engaging in criminal behavior. The Supreme Court affirmed, holding that the police were authorized to stop and briefly detain Defendant, as a reasonable safety measure, in connection with the lawful detention of the individual he was accompanying because the police reasonable believed that the other individual was armed and dangerous.
View "State v. Kelly" on Justia Law
State v. Albino
After a jury trial, Defendant was convicted of murder and sentenced to fifty years imprisonment. Defendant appealed, contending that he had been deprived of a fair trial because of improper statements made by the prosecutor during trial and in closing argument. The Appellate Court affirmed the judgment of conviction, concluding that only certain statements by the prosecutor were improper, and Defendant was not deprived of a fair trial as a result. Defendant and the State separately appealed. The Supreme Court affirmed, holding (1) the State’s appeal must be dismissed because the State was not aggrieved by the judgment of the Appellate Court; and (2) Defendant was not deprived of a fair trial. View "State v. Albino" on Justia Law
State v. Johnson
After a jury trial, Defendant was convicted of various criminal offenses in connection with the shooting of Johnnie Jones. On appeal, Defendant argued that the victim’s conduct in identifying Defendant as the perpetrator was unduly suggestive in violation of his due process rights. At issue before the Supreme Court was whether the due process clauses of the Connecticut constitution provide protection against allegedly unduly suggestive eyewitness identification procedures undertaken by a private actor, even in the absence of any improper state action. The Supreme Court affirmed the convictions, holding (1) any eyewitness identifications that are not tainted by any unduly suggestive state action do not implicate due process principles unless the identification was so unreliable that its admission deprived the defendant of his right to a fair trial; and (2) because Defendant’s claim in this case that the victim’s identification of him as the perpetrator should be suppressed on the ground that it was unduly suggestive did not implicate the state constitution, and because Defendant did not raise the claim at trial, it was not reviewable. View "State v. Johnson" on Justia Law
Fairchild Heights Residents Ass’n, Inc. v. Fairchild Heights, Inc.
Fairchild Heights Residents Association, Inc. (Association), filed suit against Defendant, Fairchild Heights, Inc., for negligence and violations of the Connecticut Unfair Trade Practices Act (CUTPA). The trial court found in favor of Defendant on all counts. The Association appealed, arguing that the appellate court erred in concluding that it failed to exhaust its administrative remedies before requesting declaratory relief and that it did not have standing to bring an action under CUTPA. The Supreme Court reversed in part, holding that the Association had standing to assert a CUPTA claim, as (1) there was no administrative remedy the association could have exhausted to obtain the relief it sought before bringing its CUTPA claim; and (2) the Association did not require the participation of all its individual members to allege ascertainable loss for the purpose of obtaining injunctive and other equitable relief under CUTPA. Remanded for a new trial on Plaintiff’s CUTPA claim. View "Fairchild Heights Residents Ass’n, Inc. v. Fairchild Heights, Inc." on Justia Law
State v. Buie
Under the apparent authority doctrine recognized by the United States Supreme Court, a warrantless entry is valid when based upon the consent of a third party whom the police, at the time of the entry, reasonably believe to possess common authority over the premises, but who in fact does not have such authority. The trial court in this case denied Defendant’s motion to suppress evidence obtained after law enforcement’s warrantless entry of Defendant’s apartment based on the apparent authority doctrine. After a jury trial, Defendant was convicted. On appeal, Defendant contended that although the apparent authority doctrine is recognized as an exception to the warrant requirement under the federal constitution, it is inconsistent with Conn. Const. art. I, 7. The Appellate Court concluded that application of the doctrine does not offend the right of Connecticut citizens to be free from unreasonable searches under article first, section 7. The Supreme Court affirmed, holding that the Appellate Court’s opinion was a proper statement of the applicable law on this issue. View "State v. Buie" on Justia Law