People v. PerezPeople v. Perez
Judgment, Supreme Court, New York County (Edwin Torres, J.), rendered July 13, 2004, convicting defendant, after a jury trial, of murder in the first degree, murder in the second degree (four counts), robbery in the first degree (four counts) and bur
Defendant argues that his counsel was ineffective for arguing, with respect to one of the two murders of which defendant was convicted, that his confession was false, while at the same time pursuing a defense of extreme emotional disturbance. Defendant argues that counsel should have relied exclusively on the latter defense. These claims are unreviewable on direct appeal because they involve matters outside the record concerning counsel’s strategic choices (see People v Rivera,
At the suppression hearing, the court permitted defendant to introduce extensive evidence of his alleged mental illness in support of his claim that his confessions were involuntary. The court properly exercised its discretion in denying defendant a continuance for the purpose of introducing even more evidence on this issue, since the proposed evidence was cumulative or irrelevant. Defendant did not preserve his claim that he was constitutionally entitled to introduce additional evidence at the suppression hearing (see e.g. People v Fronjian,
The court properly denied defendant’s motion to sever the counts of the indictment relating to the two murders, which were properly joined on the basis of overlapping evidence (see
The court properly admitted evidence concerning a statement to the police by a nontestifying declarant, to which defendant objected solely on state-law hearsay grounds, since this evidence was not received for its truth, but for the legitimate, nonhearsay purpose of completing the narrative of events and explaining police actions (see People v Tosca,
We perceive no basis for reducing the sentence. Concur— Andrias, J.P, Nardelli, Buckley and Catterson, JJ.