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Decision Information

Citations - New Mexico Appellate Reports
State v. Phillips - cited by 28 documents

Decision Content

This summary was computer-generated without any editorial revision. It is not official, has not been checked for accuracy, and is NOT citable.

Facts

  • Defendant Clive Dalton Phillips was convicted of seven crimes following an attack on Alexzandria Buhl (Allie) and Adrian Carriaga, where he beat and shot both victims, resulting in Adrian's death. The incident occurred after Defendant discovered Allie and Adrian together in bed, leading to a violent confrontation involving a baseball bat, a handgun, and a rifle. The attack ended with police intervention, and Defendant was taken into custody (paras 2-6).

Procedural History

  • State v. Phillips, 2017-NMSC-019, 396 P.3d 153: The New Mexico Supreme Court held that Defendant could be retried only for voluntary manslaughter, not for first- or second-degree murder charges, following a jury deadlock on the homicide charge related to Adrian’s death.

Parties' Submissions

  • Appellant (Defendant): Argued that the attack constituted a single, sustained attack warranting only two convictions: one for voluntary manslaughter for killing Adrian and one for aggravated battery against a household member for the attack on Allie.
  • Appellee (State): Contended that the separate convictions for aggravated battery and the misdemeanor conviction for aggravated battery against a household member were justified based on the distinctness of Defendant's actions during the attack.

Legal Issues

  • Whether Defendant’s convictions for aggravated battery and misdemeanor conviction for aggravated battery against a household member violate double jeopardy principles.
  • Whether the Legislature intended to punish separately each act of unlawful touching occurring during a continuous attack unless the acts are sufficiently distinct.

Disposition

  • The court reversed Defendant’s convictions for aggravated battery (Count 3) and misdemeanor aggravated battery against a household member (Count 6) due to double jeopardy principles but affirmed the remaining convictions.

Reasons

  • The court found that one of Defendant’s convictions for aggravated battery and the misdemeanor conviction for aggravated battery against a household member violated double jeopardy principles. The court applied a two-part test to determine the unit of prosecution intended by the Legislature, analyzing whether the acts were separated by sufficient indicia of distinctness to justify multiple punishments under the same statute. For the attack on Adrian, the court found sufficient distinctness between the use of a baseball bat and a handgun, justifying separate convictions. However, for the attack on Allie, the court agreed with the State's concession that the misdemeanor conviction for punching should be vacated due to the continuous nature of the conduct. The court also held that Defendant’s convictions for aggravated battery with a deadly weapon and voluntary manslaughter violated double jeopardy, as both charges could be based on unitary conduct. The court remanded the case to vacate the conviction for aggravated battery under Count 3 (paras 7-35).
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