394 Mass. 1013 | Mass. | 1985
The defendant appealed from his conviction of assault and battery by means of a dangerous weapon. The Appeals Court reversed the defendant’s conviction on the ground that the judge should have instructed the jury on the issue of self-defense. Commonwealth v. Barber, 18 Mass. App. Ct. 460, 465 (1984). We granted the Commonwealth’s application for further appellate review. We conclude, as did the Appeals Court, that the judge committed reversible error when he refused the defendant’s request for a jury instruction on self-defense.
In determining whether there was sufficient evidence to raise the issue of self-defense, we view the evidence in the light most favorable to the defendant. Commonwealth v. Harrington, 379 Mass. 446, 450 (1980). Commonwealth v. Monico, 373 Mass. 298, 299 (1977). In order to raise the issue of self-defense, “[tjhere must be evidence warranting at least a reasonable doubt that the defendant: (1) had reasonable ground to believe and actually did believe that he was in imminent danger of death or serious bodily harm, from which he could save himself only by using deadly force, (2) had availed himself of all proper means to avoid physical combat before resorting to the use of deadly force, and (3) used no more force than was reasonably necessary in all the circumstances of the case.” Commonwealth v. Harrington, supra at 450. Commonwealth v. Burbank, 388 Mass. 789, 794 (1983).
We conclude, based on the facts of this case, that the evidence was sufficient to satisfy these three elements and, therefore, raised the issue of self-defense. The jury’s finding as to guilt necessarily rested largely on its evaluation of the credibility of the two primary witnesses at trial, the victim and the defendant. The defendant testified that he drew his knife during a fight with the victim because he feared that the victim was reaching into his back pocket for a weapon. The victim testified that he never reached into his back pocket.
Judgment reversed.
Verdict set aside.
No evidence was introduced showing that the victim had carried a dangerous weapon at the time of the altercation with the defendant.