[¶ 1] Phillip Charles Manning appeals from the district court’s criminal judgment entered after he conditionally pled guilty to disobedience of a judicial order. He argues the district court abused its discretion when it excluded evidence he wished to present in support of his necessity defense. Concluding the district court did not abuse its discretion, we affirm.
I
[¶ 2] Manning was divorced from his wife in May 2002.
Manning v. Manning,
[¶ 3] In March 2005, Manning moved the court to allow a justification or excuse defense, wishing to allege the defense of necessity. Also in March, the State moved to exclude a large share of Manning’s proposed trial evidence. The State argued that evidence of past child abuse allegedly committed by the mother prior to March 30, 2004, was irrelevant. Manning opposed the motion, requesting all the evidence of alleged past abuse be allowed.
[¶ 4] The district court concluded that although the defense of necessity was not specifically recognized in North Dakota, it would allow the defense for this case. The district court excluded, however, any evidence alleging child abuse on or before March 30, 2004, the last day evidence was heard in the parties’ custody dispute. The court held the evidence prior to that date was irrelevant for the criminal offense that allegedly took place in August 2004. According to the terms of a plea agreement, the State amended its complaint, recharging Manning with disobedience of a judicial order. Manning conditionally pled guilty and appealed.
[¶ 5] On appeal, Manning argues the district court abused its discretion when it excluded his evidence of child abuse occurring before March 30, 2004, because it was relevant to his necessity defense. The State argues the evidence is irrelevant and the district court properly excluded it.
[¶ 6] The district court had jurisdiction under N.D. Const, art. VI, § 8, and N.D.C.C. § 27-05-06. The appeal was timely under N.D.RApp.P. 4(b), and this Court has jurisdiction under N.D. Const, art. VI, §§ 2, 6, and N.D.C.C. § 29-28-06.
II
[¶ 7] “ ‘Relevant evidence’ means evidence having any tendency to make the existence of any fact that is of consequence to the determination of the action more probable or less probable than it would be without the evidence.” N.D.R.Ev. 401. All relevant evidence is admissible. N.D.R.Ev. 402. Relevant evidence may be excluded, however, “if its probative value is substantially outweighed by the danger of unfair prejudice, confusion of the issues, or misleading the jury, or by considerations of undue delay, waste of time, or needless presentation of cumulative evidence.” N.D.R.Ev. 403. A trial court is granted broad discretion when deciding whether evidence is relevant, and this Court will not reverse unless that court abused its discretion.
State v. Miller,
[¶ 8] Although the “broad notion of necessity ... has not yet been recognized by this court,”
State v. Sahr,
[¶ 9] The district court considered evidence of alleged abuse predating March 30, 2004, in the custody case. That court found the mother had not abused the children and granted her custody of the children.
Manning,
[¶ 10] Although the district court excluded much of the evidence that allegedly supported Manning’s necessity defense, the court also allowed information that would have potentially supported the defense. The court weighed the competing interests and came to a solution that kept the exhibits timely and relevant and still allowed Manning to present his defense. The district court did not act arbitrarily, unreasonably, or capriciously. Also, the court did not misapply or misinterpret the law. Therefore, the district court did not abuse its discretion. Because resolving the issue of whether necessity is a valid defense in North Dakota is not necessary, we make no holding or conclusion on the issue.
See Wanner v. N.D. Workers Comp. Bureau,
Ill
[¶ 11] The district court’s criminal judgment is affirmed.
