Defendant first contends that judgment should be arrested because an assault with his fists does not satisfy the “deadly weapon” element of the indictment. A deadly weapon is “any article, instrument or substance which is likely to produce death or great bodily harm.”
State v. Sturdivant,
Since defendant’s fists could have been a deadly weapon in the circumstances of this assault, the indictment was sufficient. The indictment specifically stated that defendant used his fists as a deadly weapon and gave facts demonstrating their deadly character. The Supreme Court of North Carolina in
State v. Palmer,
it is sufficient for indictments or warrants seeking to charge a crime in which one of the elements is the use of a deadly weapon (1) to name the weapon and (2) either to state expressly that the weapon used was a ‘deadly weapon’ or to allege such facts as would necessarily demonstrate the deadly character of the weapon. (Emphasis in original.)
*612
Next, defendant contends that the trial court erred in instructing the jury to consider lesser included offenses after acquitting defendant of assault with a deadly weapon, inflicting serious injury. The jury instruction was not ideal, but it could not have coerced the jury into returning a verdict of guilty on the greater offense. A judge may direct the jury to decide upon lesser included offenses only after finding defendant not guilty on the charged offense.
State v. Wilkins,
The defendant had a fair trial free from prejudicial error.
No error.
