A jury found defendant guilty of three counts of first-degree sexual abuse. On appeal, he contends that his convictions should be reversed because the trial court erroneously admitted (1) hearsay testimony about what defendant had told an interpreter during an interrogation and (2) a doctor’s medical diagnosis of “highly concerning for sexual abuse.” We agree that the trial court erred in admitting the doctor’s diagnosis, and we therefore reverse defendant’s convictions and remand for a new trial. Given that remand, we decline to reach defendant’s hearsay argument.
Defendant was charged with three counts of first-degree sexual abuse after a young girl alleged that he had touched her breasts and vaginal area. During the course of defendant’s trial, the state offered the testimony of Dr. Skinner, a physician who had examined the girl. Skinner testified that the results of the girl’s physical examination were normal, but that during an interview, the girl told Skinner that defendant had touched her breasts and vaginal area. Based on those statements and previous statements the girl made to police, Skinner made a diagnosis of “highly concerning for sexual abuse.”
On appeal, defendant argues that, under the reasoning in
State v. Southard,
We have held, on similar facts, that the trial court’s admission of this type of medical diagnosis — that is, a diagnosis regarding sexual abuse based solely on a child’s report — constitutes error apparent on the face of the record in light of
Southard. See, e.g., State v. Clay,
In another assignment of error, defendant contends that the trial court erred in admitting a detective’s testimony regarding an interpreter’s version of defendant’s statements — double hearsay, he argues, under
State v. Rodriguez-Castillo,
Reversed and remanded.
Notes
OEC 403 provides that relevant evidence may be excluded “if its probative value is substantially outweighed by the danger of unfair prejudice * *
