Angel Manuel Nieves appeals his judgment and sentence for second-degree murder. Nieves contends that the trial court committed fundamental error when it instructed the jury on the lesser-included offense of manslaughter by act because the standard instruction in effect at the time of and given at his trial improperly imposed the additional element of “intent to kill” to that offense.
1
In support of his contention, Nieves relies on
Montgomery v. State,
— So.3d - (Fla. 1st DCA 2009),
review granted,
Accordingly, we affirm Nieves’ conviction and sentence, and as we did in Zeig-ler, we certify conflict with Montgomery.
Judgment and sentence affirmed; conflict certified.
Notes
. The instruction given in Nieves' case is no longer the standard instruction for manslaughter by act. The instruction, which was modified by the supreme court in December 2008, now reads: "In order to convict of manslaughter by intentional act, it is not nec-essaiy for the State to prove that the defendant had a premeditated intent to cause death, only an intent to commit an act which caused death.”
In re Standard Jury Instructions in Criminal Cases-Report No. 2007-10,
