People v. RodriguezPeople v. Rodriguez
Judgment,
The verdict convicting defendant of conspiracy in the second degree was based on legally sufficient evidence and was not against the weight of the evidence (see, People v Acosta,
Defendant’s claim that the prosecution’s belated disclosure of the audio portion of a videotape of one of defendant’s drug sales constituted a Rosario violation is unpreserved since defendant failed to request any remedy (People v Graves,
Defendant’s challenges to the court’s main and supplemental charges on conspiracy are similar to claims rejected by this Court, on appeals by other defendants in this case (People v McKnight,
The court properly complied with this Court’s prior order directing a reconstruction hearing to determine whether defendant’s counsel was present at the beginning of voir dire on September 4, 1996. This hearing had been granted based on trial counsel’s assertion that he had been late that morning and that voir dire had commenced without him, and based on the claim that the minutes of that day were lost. Once the minutes of that day were discovered, however, they conclusively established counsel’s presence that morning and obviated the need for an evidentiary hearing concerning the morning session. There is no merit to defendant’s counsel’s belated claim that he arrived late for the afternoon session on the same day,
We have considered and rejected defendant’s remaining claims, including his claim that his sentence is excessive. Concur—Williams, P.J., Andrias, Buckley and Rosenberger, JJ.