Riley v. StateRiley v. State
— Malice being an ingredient of the offense charged, evidence of repetitions of the alleged slanderous words subsequent to the indictment was admissible to show in what spirit they were spoken at the time alleged in the indictment.—Ware v. Cartledge,
The offense was complete if at the time laid in the indictment defendant spoke the words as charged, and they were both false and malicious.—Code, § 5065. If such was the case the existence of ’probable grounds, other than the truth of those words, though admissible to be shown as tending to disprove malice (Beal v. State,
Affirmed.