Clarence Riggins appeals from his conviction of felony murder, with aggravated assault as the underlying felony, arising from the shooting death of Michael Copeland. 1 Testimony at trial established that after telling friends that he had been robbed and knew who had done it, Riggins got a ride first to his apartment, where he went inside for a few minutes, then to the area from which he had gotten the ride. Leon Jones, an 11-year-old boy who was acquainted with both Riggins and Copeland, testified he saw Riggins engage in an argument with Copeland, then shoot at Copeland three times as Copeland walked away. Copeland was hit with two shots, one of which hit his head and was fatal. A cousin of Riggins testified that on the day after the *408 shooting, Riggins told him he shot Copeland because Copeland “cussed” him.
1. The evidence adduced at trial and summarized above was sufficient to authorize a rational trier of fact to find Riggins guilty beyond a reasonable doubt of felony murder with aggravated assault as the underlying felony.
Jackson v. Virginia,
2. In his only enumeration of error, Riggins contends he is entitled to a new trial because he was not afforded effective assistance of counsel. “In order to prevail on his claim, appellant must show deficient performance on the part of counsel and prejudice to his defense resulting from the deficient performance. [Cit.]”
Fulton v. State,
A charge on voluntary manslaughter would have to be supported by evidence that Riggins acted solely from passion resulting from serious provocation by Copeland.
Reynolds v. State,
In an effort to impeach Jones, trial counsel developed testimony on cross-examination that the witness was on probation for burglary and for injuring another student at school, and had been arrested and put on probation for a number of other offenses. Trial counsel then attempted to further impeach Jones by the testimony of a teacher who had noted in Jones’s school record that Jones would lie to get his peers in trouble. In the course of a proffer, the teacher testified her notation meant Jones would lie when he was in trouble in an effort to divert responsibility from himself. The trial court excluded the teacher’s testimony as an improper means of impeachment. Riggins correctly points out that the proper method of impeachment would have been to inquire into Jones’s reputation for truthfulness. As the Court of Appeals pointed out in
Callahan v. State,
“Since an appellant claiming ineffective assistance of counsel must show both deficient performance and actual prejudice stemming from that deficiency, an insufficient showing on either of these prongs relieves the reviewing court of the need to address the other prong. [Cit.]”
Cain v. State,
Judgment affirmed.
Notes
Michael Copeland was killed on December 4, 1998, and Clarence Riggins was indicted on July 16, 1999, for malice murder, felony murder (aggravated assault), and aggravated assault. A jury trial conducted January 30-February 2, 2001, resulted in an acquittal on the malice murder charge and a guilty verdict on the felony murder and aggravated assault charges. The trial court sentenced Riggins to life imprisonment for felony murder and deemed the aggravated assault count to have merged into the felony murder count. A motion for new trial filed February 6, 2001, and amended December 14, 2001, was heard on August 15, 2002, and was denied by an order filed April 29, 2004. Atimely notice of appeal was filed in the trial court May 20, 2004, and the appeal was docketed in this Court on December 2, 2004, and submitted for decision on the briefs.
We note that OCGA § 24-9-84 was amended and OCGA § 24-9-84.1 was enacted in 2005 to expand upon this means of impeachment in all trials commencing on or after July 1, 2005. Ga. L. 2005, p. 20 (H.B. 170, effective April 5, 2005).
