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 23, 2009, on Wayne Johnson’s property in San Rafael, New Mexico, Defendant Danny Stanfield confronted Sonny Jim and Fernando Begay while they were putting away tools. After an initial confrontation, Stanfield retrieved a single-action revolver and attempted to handcuff Jim, leading to a shooting incident. Stanfield shot Jim eight times, six bullets hitting him, and then turned the gun on Johnson, shooting him four times. Begay was also shot at but managed to escape and call 911. Stanfield was arrested and indicted on two counts of first-degree murder and one count of attempt to commit first-degree murder (paras 2-7).
Procedural History
- February 2011: The district court found Defendant not competent to stand trial but dangerous, leading to an order of commitment for treatment to attain competency (para 7).
- February 2014: The district court found Defendant remained dangerous, not making substantial progress towards competency, and unlikely to become competent to stand trial within nine months. This led to an evidentiary hearing in May 2014 to determine the sufficiency of the evidence against Defendant (para 8).
Parties' Submissions
- Defendant-Appellant: Argued that there was insufficient evidence to support the district court’s determination of his dangerousness and incompetence to stand trial. Contended that the shootings were justified as self-defense and that the State failed to disprove this theory or to establish that he acted with deliberate intent to kill (paras 9, 11, 16).
- Plaintiff-Appellee (State of New Mexico): Maintained that substantial evidence existed to support the order of commitment, demonstrating that Defendant committed the acts charged without lawful justification or excuse and with deliberate intention to take away the lives of the victims (paras 10, 13-14, 19).
Legal Issues
- Whether there was sufficient evidence to support the district court’s determination that Defendant was dangerous but incompetent to stand trial.
- Whether the State disproved Defendant’s claim of self-defense by clear and convincing evidence.
- Whether the State provided substantial evidence to prove first-degree murder by demonstrating deliberate intention to kill without lawful justification or excuse (paras 10-11, 13-14, 16-19).
Disposition
- The Supreme Court affirmed the commitment order of the district court, concluding that sufficient evidence supported Defendant’s criminal commitment for the period prescribed by Section 31-9-1.5 (para 20).
Reasons
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Justices Charles W. Daniels, Barbara J. Vigil, Petra Jimenez Maes, and Edward L. Chávez concurred in the decision. The Court found that the State had met its burden of proving by clear and convincing evidence that Defendant committed the acts charged. It rejected Defendant’s self-defense claim, noting he initiated the confrontation and used deadly force not in fear for his personal safety but in response to a perceived threat to his property. The Court also found substantial evidence of deliberate intention, as Defendant had time to retrieve his weapon and fired multiple shots at unarmed victims, indicating a decision to kill. The Court distinguished this case from others lacking evidence of deliberation, highlighting the methodical nature of the attack and Defendant’s own admissions (paras 10-19).
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