Justia Utah Supreme Court Opinion Summaries

Articles Posted in Constitutional Law
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The Supreme Court affirmed the decision of the court of appeals denying Defendant's motion for remand under rule 23B of the Utah Rules of Appellate Procedure after a jury convicted him of aggravated robbery, holding that the court of appeals did not err.On appeal of his conviction, Defendant alleged that his trial counsel was ineffective by not supporting his mistaken identity defense with evidence that Defendant had prominent tattoos on his hands that were not visible in surveillance images of the robber. Defendant moved under rule 23B to supplement the record with facts concerning his trial counsel's alleged ineffective assistance. The court of appeals denied Defendant's rule 23B motion. The Supreme Court affirmed, holding (1) Defendant's rule 23B motion did not allege that the arresting officers would provide favorable testimony; and (2) therefore, Defendant failed to offer nonspeculative facts that, if true, would have established that he was prejudiced by his counsel's failure to question the officers about Defendant's tattoos or comment on that evidence in closing argument. View "State v. Samora" on Justia Law

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The Supreme Court reversed the decision of the court of appeals vacating Defendant's convictions based on ineffective assistance of counsel, holding that errors in the proceedings below did not prejudice Defendant.In vacating Defendant's convictions the court of appeals concluded that trial counsel had been ineffective by failing to object to introduction and use of evidence about Defendant's silence while being arrested and by not objecting to the manslaughter jury instruction. The court ultimately concluded that Defendant was prejudiced by these instances of deficient performance. The Supreme Court reversed and reinstated the convictions vacated by the court of appeals, holding (1) trial counsel performed deficiently in failing to object to a certain jury instruction; and (2) assuming counsel was also deficient for not objecting to the State's use of Defendant's post-arrest, pre-Miranda silence against Defendant, Defendant failed to establish that there was a reasonable probability that the outcome of the trial would have been different without these errors. View "State v. Bonds" on Justia Law

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The Supreme Court remanded this case in which the district court prohibited Father from encouraging his children to adopt the teachings of any religion without Mother's consent, holding that Father had a fundamental right to encourage his children in the practice of religion and that the district court's prohibition was not narrowly tailored to address the harms identified by the court.When they married, Father and Mother were both members of the Order, a polygamous religious community. Based on the parties' inability to agree on decisions regarding their four children, the district court granted sole legal custody to Mother and prohibited Father from encouraging the children to adopt the teachings of any religion. The Supreme Court remanded this case to the district court, holding (1) parents have a fundamental right to encourage their children in the practice of religion, and this right is not dependent upon legal custody; (2) strict scrutiny applies to this case; and (3) the district court's prohibition is not narrowly tailored to address the identified harms. View "Kingston v. Kingston" on Justia Law

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The Supreme Court reversed the decision of the court of appeals vacating Defendant's convictions on the grounds that his counsel had been ineffective, holding that errors on the part of trial counsel did not prejudice Defendant.Defendant was convicted of murder and several related charges. The court of appeals vacated the convictions, determining that trial counsel was ineffective in failing to object to the use of evidence about Defendant's silence while being arrested and in not objecting to the manslaughter jury instruction, prejudicing Defendant. The Supreme Court reversed, holding (1) defense counsel was ineffective for not objecting to the manslaughter jury instruction, which incorrectly shifted the burden of proof for imperfect self-defense, but the error was not prejudicial; and (2) assuming that defense counsel was ineffective for failing to object to commentary by the prosecution in Defendant's silence after arrest, the error was not prejudicial. View "State v. Bonds" on Justia Law

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The Supreme Court affirmed the judgment of the district court dismissing the challenges brought by Salt Lake City to four provisions of the Utah Inland Port Authority Act, holding that the challenged zoning provisions did not violate the Utah Constitution.The Act requires that Salt Lake City, West Valley City, and Magna adopt specific zoning regulations and permissions favorable to developing an inland port in the area. Salt Lake brought this action alleging that four provisions of the Act violated the Utah Constitution's Uniform Operation of Laws and Ripper clauses. The district court rejected the City's claims. The Supreme Court affirmed, holding (1) the zoning provisions were rationally related to a legitimate legislative purpose and therefore did not violate the Uniform Operation of Laws Clause; and (2) the zoning provisions did not delegate municipal functions in violation of the Ripper Clause. View "Salt Lake City Corp. v. Inland Port Authority" on Justia Law

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The Supreme Court affirmed the judgment of the court of appeals holding that the conduct of two court personnel while sharing a nonpublic courthouse elevator with a jury during trial triggered a rebuttable presumption of prejudice against Defendant, holding that the court of appeals did not err.The court personnel in this case - a uniformed highway patrolman and a court IT technician - told the jurors, in so many words, to find Defendant guilty and to "hang him." The trial court bailiff also stood in the elevator but did not intervene in the exchange. The court of appeals reversed Defendant's conviction and remanded the case for a new trial. The Supreme Court affirmed, holding that the impermissible contact violated Defendant's right to an impartial jury and triggered a rebuttable presumption that Defendant was prejudiced as a result. The Court remanded the case to the district court for a determination of whether the State met its burden to rebut this presumption. View "State v. Soto" on Justia Law

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The Supreme Court reversed the decision of the court of appeals affirming Defendant's conviction and the denial of his motion to suppress, holding that the State did not meet its burden in rebutting a presumptively unreasonable seizure.The police found Defendant sleeping in his car in a McDonald's parking lot. The officers asked Defendant to exist his vehicle and ordered him to perform a field sobriety test. Defendant was subsequently charged with driving under the influence of alcohol. Defendant moved to suppress evidence and statements as a result of his seizure, arguing that his seizure and subsequent searches were unlawful. The district court denied the motion, concluding that Defendant's seizure was justified by the community caretaking doctrine. The Supreme Court reversed, holding that the State did not meet is burden to rebut the presumption of unreasonableness. View "State v. Smith" on Justia Law

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The Supreme Court held that the court of appeals correctly held that the conduct of two court personnel triggered a rebuttable presumption against Defendant, holding that remand was required.The court personnel in this case shared a nonpublic courthouse elevator with a jury during Defendant's trial and either told the jurors to find Defendant guilty and "hang him" or stood quietly in the elevator. On appeal, Defendant argued that the improper juror contact denied him his constitutional right to a fair trial and impartial jury. The court of appeals agreed and reversed Defendant's conviction and remanded the case for a new trial. The Supreme Court affirmed, holding (1) the improper contact violated Defendant's right to an impartial jury and triggered a rebuttable presumption that Defendant was prejudiced by the constitutional error; and (2) the case must be remanded for a determination as to whether the State had met its burden. View "State v. Soto" on Justia Law

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The Supreme Court affirmed the judgment of the court of appeals affirming the district court's dismissal of Defendant's motion to suppress, holding that there was no error.Testing of a buccal swab of Defendant's cheek showed that Defendant was a genetic match for DNA found on evidence at the scene of a murder. Prior to his criminal trial, Defendant moved to suppress the DNA evidence, arguing that the forcible collection of the sample had violated his Fourth Amendment rights. The district court denied the motion, and a jury convicted Defendant of murder, aggravated burglary, and possession of a weapon by a restricted person. The court of appeals affirmed. The Supreme Court affirmed, holding that the court of appeals did not err in affirming the district court's denial of Defendant's motion to suppress evidence obtained from the buccal swab, nor did it err in rejecting Defendant's statutory arguments. View "State v. Evans" on Justia Law

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The Supreme Court in this criminal case repudiated the sweeping language of its opinion in State v. James, 13 P.3d 576 (Utah 2000), and held that it can no longer be said that it makes no constitutional difference, as regards community caretaking concerns, whether a police officer opens a car door or asks a driver to do so.Defendant was charged with felony DUI and possession of drugs and drug paraphernalia. Defendant moved to suppress the evidence discovered after an officer looked inside his pickup truck, which was parked in a store parking lot, opened the truck door, and saw evidence of drug paraphernalia between Defendant's feet. The district court denied the motion. The court of appeals affirmed on alternative grounds, holding that the officer was justified in opening the car door incident to a lawful traffic stop under the standard in James. The Supreme Court affirmed, holding (1) the identity of the door-opener may well affect the reasonableness of a given police encounter; and (2) the denial of Defendant's motion to suppress was proper under the authority of Davis v. United States, 564 U.S. 229 (2011). View "State v. Malloy" on Justia Law