The defendant was found guilty of aggravated assault based on evidence that he shot his wife in the face with a pistol during an argument which took place while he was under the influence of alcohol. The jury’s verdict was as follows: “Guilty (Criminal Negligence).” On appeal, the defendant contends that this verdict was a nullity in that it negated the existence of criminal intent. He also contends that the court erred in charging the jury that they could find him guilty if they concluded either that he acted intentionally or that he acted out of criminal negligence. Finally, he contends that he received ineffective assistance of counsel. Held:
1. Code Ann. § 26-601 provides as follows: “A crime is a violation of a statute of this state in which there shall be a union of joint operation of act, or omission to act, and intention, or criminal negligence.” It follows that the trial court did not err in charging the jury that the state must prove either that the defendant acted intentionally or that he was criminally negligent. See generally
Bass v. State,
2. The jury’s verdict in this case was consistent with the charge as set forth in the indictment, with the court’s instructions, and with the evidence. It follows that the verdict was not void, and the court did not err in receiving it. The defendant’s reliance on
Cross v. State,
3. It follows from the foregoing that the defendant’s trial counsel cannot be considered ineffective as a result of his failure to object either to the court’s charge or to the form of the verdict. We also reject the contention that counsel was under a duty to request jury instructions on the lesser offenses of pointing a pistol at another (Code Ann. § 26-2908) or reckless conduct (Code Ann. § 26-2910). We cannot conclude that counsel’s failure to request such charges was not a legitimate trial tactic, and we will not second guess such decisions based on the clarity afforded by hindsight. See generally
Pitts v. Glass,
Judgment affirmed.
