After a jury trial, Curtis Alfonzo Rower was found guilty of kidnapping with bodily injury, armed robbery, and two counts of kidnapping. However, the jury was unable to agree on a verdict as to that count of the indictment which alternatively charged Rower with the malice or felony murder of Mrs. Sara Tokars. Upon Rower’s motion, the trial court declared a mistrial as to that count. Subsequently, the State announced that it intended to seek a retrial of Rower on the murder count. Contending that the felony murder charge was predicated upon his commission of the kidnapping with bodily injury and the armed robbery, Rower filed a plea of former jeopardy. The trial court denied Rower’s plea and he filed this direct appeal. See
Patterson v. State,
The Supreme Court of the United States consistently has affirmed “the proposition that a trial court’s declaration of a mistrial following a hung jury is not an event that terminates the original jeopardy to which [the defendant] was subjected.”
Richardson v. United States,
The case law from around the country is completely in line with this principle that a retrial on a greater, inclusive offense, following a declaration of mistrial because of a hung jury, is not barred by double jeopardy principles notwithstanding the fact that a guilty verdict was accepted and a sentence imposed with respect to a lesser, included offense.
Mauk v. State,
Rower nevertheless urges that, because the State will rely upon the same evidence that was used to convict him of lesser included offenses in its effort to convict him of the felony murder, his double jeopardy motion is meritorious under
Blockburger v. United States,
Accordingly, the trial court did not err in denying Rower’s plea of former jeopardy.
Judgment affirmed.
