A jury found John Proper guilty of one count of child molestation and one count of sexual battery arising out of two separate incidents involving his eight-year-old stepdaughter. 1 Proper appeals from his conviction and the denial of his motion for a new trial.
1. Proper alleges that the trial court erred in granting the state’s motion in limine excluding any reference to a previous incident of molestation which did not involve him. Proper sought to have the earlier incident admitted to support his theory that the victim was “confusing” the events. In
Hall v. State,
The child testified at trial that while in her parents’ bed, Proper fondled her vagina, placed his penis between her legs, and tried to place his penis in her mouth. She also testified regarding an incident when Proper had rubbed her between her legs while she was lying on the sofa. During cross-examination, defense counsel had the opportunity to explore his theory that the victim was confused about the events forming the allegations in the case. Because a mechanism for pursuing his theory was already available, we find no reason to expand the limited exception created in Hall, supra.
2. Proper also alleges that the court erred in charging that the law requires “equal” theories to support an acquittal in regard to cases of circumstantial evidence. This charge was approved in
Fleming v. State,
Judgment affirmed.
Notes
Though not raised as an issue in this appeal, we note that sexual battery is not a lesser included offense of child molestation as a matter of law. See
Teasley v. State,
