This summary was computer-generated without any editorial revision. It is not official, has not been checked for accuracy, and is NOT citable.
Facts
- On October 24, 2011, Defendant Lorenzo Salas reported to the Bernalillo County Metropolitan Detention Center (MDC) to serve a twenty-four-hour remand sentence. During booking, Salas verbally abused a booking technician and threw a pen at her, which struck her in the chest. Later, when corrections officer Kavin Woodard attempted to move Salas to a solitary cell due to his aggressive behavior, Salas head-butted Woodard, causing physical injury. MDC personnel filed a report, leading to Salas being charged with aggravated battery on a peace officer (paras 5-6).
Procedural History
- [Not applicable or not found]
Parties' Submissions
- Defendant: Argued that the district court erred by denying motions related to the State’s failure to collect potentially exculpatory evidence, witness tampering, juror misconduct, and prosecutorial misconduct. Contended that a shotgun jury instruction was impermissible and that substantial evidence did not support the conviction. Also argued that his procedural due process rights were violated during his probation revocation hearing and that errors occurred during his habitual offender hearings, including violations of double jeopardy and due process rights, ineffective assistance of counsel, and insufficient evidence to support habitual offender status (paras 2, 42, 46, 53, 59, 62).
- State: Filed a cross-appeal arguing that the district court erred in finding insufficient evidence to prove Salas was the individual identified in the supplemental criminal information at the initial sentencing hearing. However, this argument was abandoned on appeal (para 3).
Legal Issues
- Whether the district court erred in its decisions regarding the collection of evidence, witness tampering, juror misconduct, prosecutorial misconduct, and the issuance of a shotgun jury instruction.
- Whether substantial evidence supported the conviction for battery on a peace officer.
- Whether the defendant's procedural due process rights were violated during the probation revocation hearing.
- Whether retrial on habitual offender status violated double jeopardy protections.
- Whether the defendant received adequate notice for the subsequent sentencing hearing, thus respecting his due process rights.
- Whether the defendant received ineffective assistance of counsel.
- Whether substantial evidence supported the finding that the defendant was a habitual offender (paras 12-65).
Disposition
- The Court of Appeals affirmed the district court's decisions, finding no merit in the defendant's arguments (para 66).
Reasons
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The Court of Appeals concluded that the defendant's arguments regarding trial errors, procedural due process violations, and sentencing as a habitual offender were without merit. Specifically, the court found that the State's failure to collect potentially exculpatory evidence was not done in bad faith, witness tampering and juror misconduct claims were properly addressed, prosecutorial misconduct did not warrant a mistrial, and the shotgun jury instruction did not result in fundamental unfairness. The court also held that substantial evidence supported the conviction and the habitual offender status. Regarding procedural due process, the court determined that the defendant had actual notice of the hearings and that double jeopardy protections did not apply to habitual offender proceedings. Lastly, the court found no evidence of ineffective assistance of counsel (paras 12-65).
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