Salcedo v. StateSalcedo v. State
Salcedo appeals from a conviction for trespassing in a structure. He alleges that the trial court erred in denying his motion for a new trial in which he averred that he was not present at the beginning of the trial during the challenging of the jury, in violation of Rule 3.180(a)(4), Fla.R.Crim.P. We reverse and remand for further proceedings.
The trial court denied Salcedo’s motion on the ground that his counsel failed to object to his absence at the time the peremptory challenges were being exercised. While it is the general rule that a point argued on appeal must be preserved by appropriate objection at trial, it is well settled that fundamental error can be considered on appeal without objection in the lower court. Sanford v. Rubin,
The United States Constitution guarantees a criminal defendant the right to be present during crucial stages of his trial or at the stages of his trial where fundamental fairness might be thwarted by his absence. Smith v. State,
The challenge of jurors is one of the essential stages of a criminal trial where the defendant’s presence is required. Lane v. State,
The order appealed from is reversed and the case remanded for consideration of Sal-cedo’s motion for new trial on the merits, including the specific issue of whether or not Salcedo waived his presence at the peremptory challenges, either by consent or by subsequent ratification of the action taken in his absence. See Walker, supra; Peede v. State,
Reversed and remanded.