Thе defendant assigns as error the trial court’s determination that certain statements made by the defendant to the effect that he was driving a cаr were admissible in evidence. The defendant contends that his intoxication prevented him from voluntarily waiving his Miranda rights or making a meaningful confession. Therefore, the defendant contends that the trial court erred in its ruling upon the admissibility of his statements.
When the State offers a defendant’s confession that he has committed the crime charged or some essential element thereof, and the defendant objects, the trial court must conduct a voir dire hearing to determine its admissibility. The trial court must hear the evidence, observe the demeanor of the witnesses and resolve any questions by appropriate findings of fact.
State v. Jones,
In the present case, the trial court conducted such a hearing and found that the defendant had beеn advised of his Miranda rights. The trial court further found that the defendant stated to *579 the officer that he understood his rights, did not want an attorney and was willing to talk tо the officer. These findings are supported by competent evidence and must be considered conclusive.
From these findings, the trial court сoncluded that the defendant’s statements were freely, understanding^ and voluntarily made. The fact that the defendant may, well have been intoxicаted does not negate this conclusion. An admission by an intoxicated defendant is admissible unless the defendant is so intoxicated as to be unconsсious of the meaning of his words.
State v. McClure,
The defendant next сontends that the trial court erred in allowing the District Attorney to impeach him by questioning him concerning his prior convictions without first ascertaining whethеr the defendant was represented by counsel at the time of those prior convictions. As the defendant correctly points out, the use of convictions which are constitutionally invalid under
Gideon v. Wainwright,
*580
The defendant nеxt contends that the trial court erred in allowing the State to use his prior motor vehicle convictions for impeachment purposes. When a defendant takes the stand and testifies, he is subject to cross-examination concerning prior convictions including unrelated violations of motor vehicle laws.
Ingle v. Transfer Corp.,
The defendant next contends that the trial court erred in allowing the State to use certain prior convictions for impeachment purposes due to their remoteness in time. Prior сonvictions are relevant to show the defendant’s lack of credibility and trustworthiness as a witness.
State v. McLean,
The defendant alsо assigns as error the failure of the trial court to grant his motions to dismiss at the close of the State’s evidence and at the close of all the evidence. He contends that the evidence was insufficient to show that he was driving a car at the time in question. We do not agree.
In ruling upon a defendant’s motion to dismiss for insufficiency of evidence, the evidence must be considered in the light most favorable to the State and the Statе must be given the benefit of every reasonable inference deducible therefrom.
State v. Snead,
Finally, the defendant assigns as error the failure of the trial court to sufficiently instruct the jury concerning the weight and effect of the defendant’s statements that he was the driver of the car. As there was evidence tending to indicate that the defendant was intoxicated, he contеnds that he was entitled to a special instruction informing the jury that they must consider the condition of the defendant at the time he made the statemеnts in determining the weight and credibility to be given those statements.
It is clear that the trial court is required to declare and explain the law arising on the evidence. G.S. 15A-1232. This would require that an instruction be given on every substantive feature of the case, even in the absence of a request for such an instruction.
See State v. Hornbuckle,
A substantive feature of a case is any component thereof which is essential to the resolution of the facts in issue. Evidence which does not relate to the elements of the crime itself or the defendant’s criminal responsibility therefore are subordinate features of the case.
State v. Williams,
The defendant received a fair trial free from prejudicial error, and we find
No error.
