Appellant Michael W. Nance was convicted of malice murder and a host of other crimes in 1997, and the jury recommended imposition of the death penalty. This Court affirmed appellant’s convictions, but reversed the imposition of the death penalty on the ground that the trial court had erred when it failed to excuse a prospective juror for cause because her views in favor of capital punishment would prevent or substantially impair the performance of her duties as a juror.
Nance v. State,
[T]he primary purpose underlying the Double Jeopardy Clause is to prohibit the retrial of a criminal defendant where the prosecution has, at the initial trial, produced insufficient evidence to sustain a conviction. [Cits.] The general rule is that the retrial of the defendant is not barred where reversal of the conviction results from trial error rather than evidentiary insufficiency. [Cits.] . . . [T]he Double Jeopardy Clause stands as a bar to retrial of the defendant. . . where the prosecutor has goaded the defense into making a motion for a mistrial in order for the prosecution to avoid reversal of the conviction because of prosecu-torial or judicial error, or to otherwise obtain a more *312 favorable chance for a guilty verdict on retrial. [Cits.]
Williams v. State,
Appellant’s conviction was reversed due to trial error rather than evidentiary insufficiency, and the defense was not goaded into making a motion for mistrial. See
Nance v. State,
supra,
Judgment affirmed.
Notes
A direct appeal from the denial of a plea in bar is authorized by this Court’s decision in
Patterson v. State,
