A jury found Mickey David Melson guilty of one count of aggravated battery, one count of aggravated assault, and two counts of battery, all of which arose out of a domestic dispute. Following the denial of his motion for new trial, Melson appeals, arguing that the trial court erred in admitting evidence of prior difficulties between Melson and one of the victims, and in prohibiting cross-examination of the same victim as to her first offender status. Melson also contends that he was denied effective assistance of counsel. We affirm.
1. Viewed in the light most favorable to the verdict, the evidence showed that during a domestic dispute, Melson hit his girlfriend several times in the face with his fist, and then hit her across the face with a hard plastic mug, cutting her face open from lip to chin. 1 At trial the girlfriend was questioned as to whether Melson had hit her in the past, and she responded by describing three separate occasions when Melson had attacked her. She stated that Melson had previously pushed her down some stairs, fracturing her arm, had knocked her down with his truck and then ran over her legs, and had hit her and fractured her arm again. Melson argues that it was error to allow such testimony because evidence of prior difficulties must be relevant to prove a material issue in dispute, and that the issue in dispute in this case was “one of degree of the offense committed, not the identity of Appellant as the perpetrator.”
Contrary to Melson’s argument, however,
[e]vidence of the defendant’s prior acts toward the victim, be it a prior assault, a quarrel, or a threat, is admissible when the defendant is accused of a criminal act against the victim, as the prior acts are evidence of the relationship between the victim and the defendant and may show the defendant’s motive, intent, and bent ofmind in committing the act against the victim which results in the charges for which the defendant is being prosecuted.
Lance v. State,
2. Melson argues that the trial court erred in refusing to allow the defense to cross-examine the girlfriend concerning possible bias in favor of the State based on her first offender sentence. He contends that this prohibition violated his constitutional right to cross-examination.
While it is true that a first offender sentence cannot be used to impeach the first offender on general credibility grounds because no adjudication of guilt has been entered
(Smith v. State,
However, “it is fundamental that harm as well as error must be shown for reversal.” (Citation omitted.)
Matthews v. State,
3. Melson argues that he received ineffective assistance of counsel due to his trial counsel’s failure to request a limiting instruction on the introduction of evidence of prior difficulties. To prevail on a claim of ineffective assistance of counsel, defendant must show that his attorney’s performance was deficient and that the deficiency prejudiced the defense.
Strickland v. Washington,
Melson is correct that the admission of evidence of prior difficulties should be accompanied by an instruction from the trial court explaining the limited use to which the jury may put such evidence.
Wall,
supra,
Judgment affirmed.
Notes
The evidence also showed that Melson hit a male victim’s head with a lamp during the dispute.
