Quentin Lamar Joyner challenges his conviction for second-degree murder as charged. Appellant argues that the trial court’s use of the standard jury instruction for the lesser included offense of manslaughter by act constituted fundamental error and requires reversal of his conviction of the charged offense. He relies on
State v. Montgomery,
This case is distinguishable from State v. Moritgomery because Joyner was convicted as charged, rather than for one of the lesser included offenses.
In addition, the jury instructions given in this case included an instruction on manslaughter by culpable negligence. As was the case in
Salonko v. State,
— So.3d - (Fla. 1st DCA 2010), the instruction on manslaughter by culpable negligence gave the jury to option of finding the appellant guilty of a lesser included offense which did not require an intent to kill. Accordingly, the erroneous manslaughter instruction here “did not inter
The fundamental error doctrine is to be applied “only in the rare cases where a jurisdictional error appears or where the interests of justice present a compelling demand for its application.”
Nesbitt v. State,
Finally, this case can be distinguished from
Montgomery
because the defense not only failed to object to the standard jury instruction on manslaughter, he specifically agreed to that instruction at the charging conference and incorporated the instruction into his closing argument to the jury. This court’s recent opinion in
Calloway v. State,
Because this case is distinguishable from Montgomery, and because the totality of the circumstances does not establish the rare situation where the erroneous standard instruction vitiated the validity of the entire trial proceedings on the charge of second degree murder, the conviction is AFFIRMED.
