People v. SwiftPeople v. Swift
Judgment unanimously affirmed. Memorandum: Defendant was convicted of murder in the second degree (Penal Law § 125.25) and robbery in the first degree (Penal Law § 160.15), arising from the robbery and fatal beating of a 68-year-old victim in his home by defendant and two accomplices. The accomplices entered guilty pleas to reduced charges and testified against defendant. Defendant was sentenced to concurrent indeterminate terms of incarceration, the highest being 20 years to life.
Contrary to defendant’s contention, the testimony of the accomplices is supported by sufficient corroborative evidence, i.e., evidence that “tends to connect the defendant to the crime so as to reasonably satisfy the jury that the accomplice [s are] telling the truth” (People v Glasper,
We agree with defendant that the prosecutor violated CPL 60.35 (3) during direct examination of a prosecution witness by eliciting details of a prior statement of the witness. Because the testimony of that witness did not affirmatively damage the People’s case, the prosecutor could use the prior statement only to refresh the recollection of the witness but could not dis
The court’s Sandoval ruling was not an abuse of discretion. Defendant failed to preserve for our review his present argument that the court’s reasonable doubt charge lessened the People’s burden of proof (see, People v Robinson,