People v. PedrazaPeople v. Pedraza
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On direct appeal (
Trial counsel provided effective assistance under the state and federal standards (see People v Benevento,
Defendant asserts that her trial counsel failed to interview and make use of potential defense witnesses. Regardless of the extent of counsel’s interview of a codefendant who had pleaded guilty prior to defendant’s trial, and regardless of whether this codefendant could have provided exculpatory testimony, it would have been reasonable for counsel to decline to call him as a witness. His testimony would have been unhelpful and potentially damaging because he would inevitably have been impeached by
Next, defendant argues that her trial counsel’s communications with her throughout the representation were inadequate and impaired by a language barrier. However, the motion court correctly determined that this contention is contradicted by the record, which reveals frequent and appropriate attorney-client consultations, in which counsel used an interpreter or his own knowledge of Spanish.
We also reject defendant’s claim that her attorney mishandled the suppression hearing by failing to elicit evidence and make arguments concerning coercive circumstances and pre-Miranda warnings custodial interrogation. Defendant has not shown that such a strategy would have had any reasonable likelihood of success. The factual assertions she now claims her attorney should have pursued were contradicted by police testimony at the hearing, and there is no reason to believe that the suppression court would have been persuaded to discredit the police testimony and credit that of defendant.
Finally, even assuming that trial counsel’s performance was deficient in all the ways cited by defendant, these deficiencies did not deprive defendant of a fair trial, affect the outcome of the proceedings, or cause her any prejudice (see People v Caban,