After a jury trial, Mario Lanzo Quillian was found guilty of two counts of malice murder, four alternative counts of felony murder, two counts of aggravated assault, and one count each of possession of a firearm during commission of a felony and possession of a firearm by a convicted felon. The trial court treated the felony murder verdicts as surplusage, merged the aggravated assault counts into the malice murder counts, entered judgments of conviction on the remaining counts, and imposed consecutive sentences of life imprisonment for the malice murder counts and consecutive five-year terms for the two counts of firearm possession. See
Malcolm v. State,
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1. Construed most strongly in support of the verdicts, the evidence shows that, after arguing with Anthony Clay, Quillian left Anthony’s apartment complex and returned with a gun. Gregory Clay, Anthony’s brother, arrived in his van and began arguing with Quillian. Anthony witnessed the argument and joined in. When Gregory reached into his van, Quillian shot him multiple times. Anthony then ran to the passenger side of the van where he retrieved and attempted to load a handgun. After the handgun came apart in his hands, he attempted to flee, but fell to the ground. As Anthony lay on the ground, Quillian shot him twice in the back. Multiple witnesses testified that the victims were unarmed when they were shot, although Quillian testified that Gregory had obtained a gun from the van. Gregory died after driving away, and Anthony died on the way to the hospital. “To the extent that [Quillian] testified that he acted in self-defense, the jury was free to either accept or reject his testimony.
[Cit.]” Knight v. State,
Quillian contends that the trial court erred when it sentenced him for possession of a firearm by a convicted felon. Since only the separate aggravated assault counts “merged into the malice murder count[s], the trial court correctly entered a judgment of conviction and a consecutive five-year sentence for the offense of possession of a firearm by a convicted felon. [Cit.]”
Roundtree v. State,
2. Quillian urges that the trial court erroneously excluded evidence of the victims’ reputation for, and prior acts of, violence.
As a general rule, a victim’s character is not relevant or admissible in [a] murder trial. [Cits.] There is an exception when the defendant claims justification and offers evidence that the deceased was the first aggressor. [Cits.] In Georgia, this exception permits the defendant to present evidence of both the deceased’s general reputation for violence [cits.] and specific acts of violence against third persons. [Cit.]
Austin v. State,
(a) Quillian argues, with respect to Gregory, only that the trial court should have admitted testimony that he was a hitman nicknamed the “Enforcer.” However, the evidence which Quillian sought to admit below actually was testimony that Gregory was an enforcer for drug dealers. Regardless, the evidence consists of neither general reputation nor specific acts of violence and, thus, does not come
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within the exception to the general rule against admission of evidence of the victim’s character. Moreover, the trial court did admit evidence of Gregory’s general reputation for violence in accordance with the method set forth in OCGA § 24-9-84, as well as specific prior acts of violence committed by Gregory. Therefore, any error was harmless, especially in light of the overwhelming evidence of Quillian’s guilt of the murder of Gregory.
Peterson v. State,
(b) The trial court did exclude prior violent acts committed by Anthony, on the ground that he was not the aggressor. Quillian contends that the prior acts were admissible because Anthony had stepped in front of him and was thus acting in concert with Gregory, who was the initial aggressor.
In order to introduce evidence of Anthony’s prior acts, Quillian had to make a prima facie showing of a justification defense as to which the prior acts of Anthony would be relevant.
Dolensek v. State,
According to Quillian’s own testimony, he did not fire the shots which killed Anthony in order to repel an actual assault by Gregory, since that purported assault was at an end. See
Crawford v. State,
3. Quillian further contends that the trial court improperly rej ected his Batson challenge regarding the State’s use of peremptory strikes against prospective jurors Chatman and Colvin, who are both African-Americans.
“The trial court did not rule on whether [Quillian] established a prima facie case, but the State’s explanation rendered such a showing moot. [Cit.]”
Thomas v. State,
4. Quillian asserts that the trial court erroneously allowed the State to use. his alleged alias. Police officers testified that the alias, “Mario Botts,” was discovered when Quillian’s name and date of birth were entered on the computer, and that the photograph selected by witnesses from a lineup was listed under the alias. Such “[testimony as to the use of an alias does not place the character of an accused in issue. [Cits.]”
McCord v. State,
Judgments affirmed.
Notes
The crimes occurred on May 31, 1999, and the grand jury indicted Quillian on July 28, 2000. The jury returned the guilty verdicts on August 21, 2000, and the trial court entered the judgments of conviction and sentences on August 23, 2000. The motion for new trial was filed on September 20, 2000, amended on November 16, 2004, and denied on February 28, 2005. Quillian filed a notice of appeal on March 30, 2005. The case was docketed in this Court on April 28, 2005 and submitted for decision on June 20, 2005.
