Sean Darin McDougal was convicted of rape and kidnapping with bodily injury in 1997 and his conviction was affirmed by the Court of Appeals.
McDougal v. State,
1. The judge presiding at McDougal’s trial was a Gwinnett County magistrate who was designated to assist the Gwinnett County superior court. Relying primarily on
Hicks v. State,
Since Hicks was decided wrongly, it does not support the habeas corpus court’s conclusion that the designation order was insufficient. The record in the present case contains a document which includes a request from the chief judge of the requesting court, which is presumed to be a valid request (OCGA § 15-1-9.1 (c)). For an intracounty request for assistance, that is all the statute requires. That being so, the habeas corpus court’s conclusion that the trial court lacked subject matter jurisdiction, which conclusion was based solely on the erroneous conclusion that the designation was defective, was also error.
2. The second basis for the habeas corpus court’s grant of relief to McDougal was appellate counsel’s failure to raise on appeal an issue concerning the trial court’s charge on the offense of kidnapping with bodily injury. Although the habeas corpus court did not set out in its order the rationale for its conclusion that the jury charge was error, it stated that the Court of Appeals has held the error to be reversible error, citing
Hopkins v. State,
A person commits the offense of aggravated assault when he or she assaults: (1) With intent to murder, to rape, or to rob; (2) With a deadly weapon or with any object, device, or instrument which, when used offensively against a person, is likely to or actually does result in serious bodily injury; or (3) A person or persons without legal justification by discharging a firearm from within a motor vehicle toward a person or persons.
OCGA § 16-5-21 (a); “A person commits the offense of aggravated battery when he or she maliciously causes bodily harm to another by depriving him or her of a member of his or her body, by rendering a member of his or her body useless, or by seriously disfiguring his or her body or a member thereof.” OCGA § 16-5-24 (a). Kidnapping is defined in our Code as follows: “A person commits the offense of kidnapping when he abducts or steals away any person without lawful authority or warrant and holds such person against his will.” OCGA § 16-5-40 (a). The element of bodily injury comes into the definition of kidnapping only in the subsection which addresses punishment: “[I]f the person kidnapped shall have received bodily injury, the person convicted shall be punished by life imprisonment or by death.” OCGA § 16-5-40 (b). It may be seen, therefore, that kidnapping is different from aggravated assault and aggravated battery in that it provides for only one manner of commission, and that a jury charge on kidnapping is not subject to the error which was committed in Hopkins and Taitón.
What McDougal and the habeas corpus court appear to have confused with multiple ways to commit the crime is the possibility that the jury may have considered as the necessary bodily injury an injury McDougal was proven to have inflicted on the victim of the kidnapping in addition to the injuries specified in the indictment as the bodily injury. When the trial court charged the jury on the definition of kidnapping with bodily injury, it gave the elements of the crime without specifically mentioning the particular injuries asserted in the indictment. That omission, considered along with the .fact that the jury heard testimony of another injury McDougal inflicted on the victim after abducting her, is the basis for McDougal’s argument that the charge permitted the jury to convict him of kidnapping with bodily injury in a manner other than that alleged in the indictment. While a jury charge on the definition of the offense which included specific reference to the allegations of the indictment would be best, we do not believe the charge in the present is fatally *864 defective in the way McDougal argued and the habeas corpus court found.
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“It is a fundamental rule in Georgia that jury instructions must be read and considered as a whole in determining whether the charge contained error. . . .” [Cit.]’ ”
Roker v. State,
The habeas corpus court found that the prejudice arising from appellate counsel’s failure to raise the issues of subject matter jurisdiction based on an ineffective designation of the trial judge to hear the case and of the jury charge on kidnapping with bodily injury was clear. In light of our holdings that neither issue was meritorious, the habeas court’s finding of prejudice was error requiring reversal of the judgment awarding McDougal a new trial.
Judgment reversed.
Notes
We note that the distinction between intra-county and inter-county designations has also been blurred by the holdings in
Massey v. State,
