People v. ShawPeople v. Shaw
The defendant’s claim that the trial court abused its discretion in receiving into evidence eight color photographs depicting the injuries inflicted upon the complainant during the armed robbery of her home, which included several lacerations and bruises, is unpersuasive. The photographs were probative on the issue of an element of several of the crimes charged, namely, that the defendant caused physical injury to the victim (see, Penal Law § 120.05 [1]; § 140.30 [2]; § 160.10 [2] [a]), and thus were properly admissible (see, People v Pobliner,
We now turn to the defendant’s contention that the sentence imposed on him was excessive insofar as it reflected the Trial Judge’s vindictiveness toward him for exercising his right to a jury trial rather than accepting a plea bargain. It is fundamental that retaliation or vindictiveness may not play a role in sentencing a convicted defendant who had elected to proceed to trial rather than plead guilty pursuant to a negotiated bargain (see, Corbitt v New Jersey,
We have considered the defendant’s remaining contentions and find them to be unpreserved for our review and, in any event, without merit. Mollen, P. J., Mangano, Niehoff and Weinstein, JJ., concur.