People v. StrawderPeople v. Strawder
The defendant was convicted of second degree murder. The evidence at trial established that the victim had been shot during the course of an attempted robbery committed by a group of young men. Two police officers testified that the defendant had given them a statement in which he admitted being involved in the planning of the attempted robbery, standing nearby while the crime occurred and joining the others in an apartment immediately following the shooting. Additionally, a videotaped recording of the defendant’s statement to an Assistant District Attorney which was given the same day as the statement to the police officers, was played to the jury. In this videotaped statement, the defendant denied
The defendant requested that the court charge the jury that Ling was an interested witness, a request which the court denied. The defendant failed to request that the court charge that Ling was an accomplice and therefore that his testimony alone was not sufficient to obtain a conviction.
When the undisputed testimony at trial establishes, as it did here, that a witness was an accomplice, the court is under a duty to charge, in accordance with
Here, since the defendant’s mere presence at the scene of the crime, even with knowledge of its perpetration, would not have rendered him accessorially liable (see, People v Reyes,
Additionally, in light of the fact that the witness Ling was to receive a lenient sentence in exchange for his testimony and particularly because his sentencing was to be delayed until after he testified, the Judge should have specifically instructed the jury that in weighing Ling’s testimony they could consider his possible interest in the case. This was especially important as the court indicated to the jury that, as a matter of law, the defendant was an interested witness. A balanced charge should properly have included possible inter