State v. TunkaraState v. Tunkara
Following a jury trial, Mahamadou Tunkara was found guilty of malice murder, felony murder, aggravated assault, and possession of a knife during the commission of a felony, with regard to the death of Mohamed Turay. Subsequently, Tunkara filed a motion for new trial, contending, among other things, that his court-appointed interpreter inadequately translated the proceedings to him. After a hearing, the trial court granted Tunkara’s motion, finding that Tunkara was not able to understand what was happening at his trial. The State appeals this ruling, contending that the trial court applied an incorrect standard of review and abused its discretion by granting a new trial pursuant to
In more detail, the record shows that, on March 7, 2008, Tunkara was indicted for malice murder, felony murder, aggravated assault, and possession of a knife during the commission of a felony. Tunkara’s first trial began on January 13, 2010, with a certified interpreter assigned to translate the trial proceedings into Soninke, Tunkara’s native language. The trial ended in a mistrial when the jury was unable to reach a unanimous verdict. The State chose to try Tunkara again, and his second trial began on November 15, 2010. Tunkara was provided with a different non-certified interpreter, as the interpreter from the first trial was out of the country and unavailable. At the second trial, the interpreter sat with Tunkara and purportedly translated the events and testimony to him as the trial proceeded. Shortly before closing arguments, Tunkara moved for a mistrial, arguing that his interpreter was inadequate. Tunkara’s attorney explained that, although he did not want to make the motion, he had become aware that the interpreter was giving Tunkara incomplete and inaccurate information, culminating in Tunkara’s belief that the murder weapon had Tunkara’s blood on it rather than that of the victim (the latter of which the testimony actually showed). The trial court denied the motion, finding that, based on his general demeanor, Tunkara appeared to understand the proceedings. On November 19, 2010, Tunkara was convicted and sentenced to life for the murder charge.
Subsequently, Tunkara filed a motion for new trial, and, after obtaining new counsel, he filed an amended motion for new trial on October 29, 2014. Tunkara again contended that, during the course of the second trial, the court-appointed interpreter gave incomplete and inaccurate information, resulting in a deprivation of Tunkara’s due process rights and his right to be present and understand all proceedings under the Sixth and Fourteenth Amendments to the United States Constitution.
On April 30, 2015, the trial court conducted a hearing on Tunkara’s motion for new trial. At this hearing, the trial court considered the testimony of Tunkara’s trial counsel, the arguments of both sides, and the transcripts from trial. In an order entered on May 4, 2015, the trial court made the finding of fact that “there was a complete breakdown of [Tunkara’s] understanding of what was transpiring at trial due to the interpreter, and that this prejudiced [Tunkara] at trial.” Citing its discretion under
On appeal, the State argues that the trial court abused its discretion, contending that the trial court made no finding that the verdict at trial was strongly against the weight of the evidence against Tunkara and, in fact, the evidence actually supported Tunkara’s conviction. In other words, the State argues that the trial court did not make appropriate findings to support, and the evidence does not allow, the grant of a new trial under the general grounds reviewable under
The right and power of a court, upon a motion for a new trial, to review its own rulings in the case, and where the same are erroneous, to grant a new trial, exists by virtue of its own constitution and establishment, without any act of the legislature; it is an inherent power in all courts to do right.
(Citation and punctuation omitted.) Hipp v. State, 293 Ga. 415, 416 (746 SE2d 95) (2013).
The trial judge made a factual finding that Tunkara did not understand what was transpiring during the trial. Based on this fact and “principles of justice and equity,” the trial judge granted Tunkara’s motion for new trial, relying on
Although the trial court mistakenly cited the wrong statutory provisions in its order, the State actually conceded at the motion for new trial that the trial court could exercise its authority under
Judgment affirmed. All the Justices concur.