Facts of the Case
Brown shot and killed David after an argument led to David ramming the back of Brown’s vehicle. Earlier Brown had tried to drive away from David, but David had followed Brown in his own car for several blocks. Brown was charged with murder, and his case eventually went to trial.
At trial Brown’s attorney argued that the jury should find Brown not guilty because he had acted in self-defense. The jury was given instructions on the differences between perfect and imperfect self-defense, particularly that perfect self-defense could be justified when using force to “prevent the commission of a forcible felony.” A forcible felony under Utah law includes the crime of aggravated assault.
During the presentation of the state’s case a detective was called and testified that David’s ramming of Brown’s car constituted criminal mischief, but not aggravated assault. Brown’s attorney unsuccessfully objected that this statement was an impermissible legal conclusion that should have been left to the jury. During closing arguments, the prosecutor highlighted the detective’s testimony, reaffirming that ramming Brown’s vehicle was not aggravated assault.
The jury found Brown guilty of the charges, but reduced the murder conviction to manslaughter finding that Brown had acted in imperfect self-defense.
Issue on Appeal
The Court of Appeals reviewed whether the trial court had improperly admitted the detective’s testimony on David’s ramming of Brown’s vehicle. Did the detective effectively tell the jury what result to reach on the case?
Analysis
Utah case law has established that a witness may not testify to a legal conclusion. This type of impermissible testimony can blur the separate responsibilities of the judge, jury, and witnesses. In State v. Tenney the court established that when the claims and opinions of witnesses are tied to the requirements of Utah law, a legal conclusion has been made.
During Brown’s trial the detective’s testimony was very closely tied to Utah law, particularly the requirement that a forcible felony must occur to justify the use of deadly force in self-defense. The detective testified that David’s ramming of Brown’s vehicle would have likely only been considered criminal mischief, not aggravated assault. Brown’s specific defense, however, was that David’s committed a forcible felony (aggravated assault), giving Brown the right to use deadly force to defend himself. The detective’s legal conclusion on the ramming of Brown’s car may have impacted the jury’s ability to freely consider Brown’s defense argument.
The Court of Appeals concluded further that without the improper admission of detective’s testimony there would be a reasonable likelihood of a more favorable result for Brown. During the State’s closing argument at trial, the State specifically asked the jury to consider the importance of the detective’s statements regarding criminal mischief versus aggravated assault. The jury’s finding that Brown had acted in imperfect, rather than perfect self-defense reasonably indicate they had relied on the detective’s testimony.
Conclusion
The Court of Appeals found that the detective had testified to a legal conclusion and the trial court had improperly admitted detectives testimony. Because the Court’s confidence in the jury’s verdict is undermined by this finding, the Court remanded Brown’s case for a new trial.