Nicholas Oliver Goree v. State
14-15-00164-CR
Tex. App.—WacoNov 12, 2015Background
- Defendant Nicholas Goree was convicted of aggravated robbery (with a prior felony enhancement) and sentenced to 38 years' confinement.
- Victim Larry Rodriguez was robbed in his apartment by two men; one (Byrd) forced entry with a gun while the other (Goree) collected property and loaded it into the victim’s mother’s red Sentra.
- The victim and the victim’s mother (Norma Leal) each later identified Goree: Leal in a one-hour show-up and the victim in a live lineup the next day; both also identified Goree at trial.
- Goree and his codefendant were arrested shortly after the robbery near the crashed stolen car, found with stolen property and two guns, and were seen hiding under a tarp.
- At trial Goree sought to cross-examine the victim about the victim’s misidentifications in a separate lineup (the first lineup, concerning Byrd); the trial court excluded that evidence as not relevant.
- The State argues exclusion was within the trial court’s discretion and, even if error, was harmless because identity proof was overwhelming.
Issues
| Issue | Plaintiff's Argument | Defendant's Argument | Held |
|---|---|---|---|
| Admissibility of evidence that victim misidentified others in a different lineup | State: Excluding evidence of victim’s misidentification of others was proper; not relevant to identification of Goree | Goree: Misidentification in first lineup is relevant to credibility/accuracy of victim’s identification of Goree in second lineup | Trial court did not abuse discretion; evidence of misidentifying others in a different lineup was not relevant to Goree’s identification and exclusion was proper |
| If erroneous exclusion occurred, whether error was harmful | State: Any error was harmless because relevance was marginal and identity evidence was overwhelming | Goree: (Implicit) Exclusion could have influenced jury’s assessment of identity/credibility | Held harmless: even assuming error, it did not affect substantial rights given strong eyewitness and circumstantial evidence |
Key Cases Cited
- Bryant v. State, 666 S.W.2d 124 (Tex. App.—Houston [14th Dist.] 1983) (prior misidentifications of persons other than defendant are not probative of defendant’s identification)
- Wells v. State, 880 S.W.2d 185 (Tex. App.—Texarkana 1994) (evidence of prior misidentification held irrelevant)
- Sneed v. State, 955 S.W.2d 451 (Tex. App.—Houston [14th Dist.] 1997) (trial court afforded deference in relevance determinations)
- Layton v. State, 280 S.W.3d 235 (Tex. Crim. App. 2009) (relevance determined by the purpose for which evidence is offered)
- Motilla v. State, 78 S.W.3d 352 (Tex. Crim. App. 2002) (overwhelming evidence is a factor in harmless-error analysis)
- Sohail v. State, 264 S.W.3d 251 (Tex. App.—Houston [1st Dist.] 2008) (appellate harmless-error standard for excluded evidence)
- Renfro v. State, 822 S.W.2d 757 (Tex. App.—Houston [14th Dist.] 1992) (distinguishing relevance of prior misidentifications)
- Simpson v. State, 181 S.W.3d 743 (Tex. App.—Tyler 2005) (attempt to hide as evidence of consciousness of guilt)
