United States v. Gilbert Eloy RamirezUnited States v. Gilbert Eloy Ramirez
The Appellant was convicted by a jury of conspiring to possess, with intent to distribute, and possessing, with intent to distribute, a quantity of marijuana pursuant to
During the Appellant’s trial, he admitted that he possessed the marijuana, but he asserted the defense of entrapment. The Appellant contended that he had been pres
During cross-examination of the informant, defense counsel inquired whether he had ever been indicted in a federal district court in Brownsville. The government objected, and defense counsel informed the court that the question was asked to impeach the informant’s credibility and to show bias and motive. The court asked defense counsel if he meant to discover if there was a pending indictment. Defense counsel responded to the court that he was posing the question of whether the informant had “ever been indicted.” Based upon this representation, the court sustained the objection.
Defense counsel then asked the informant if the government had given any promises not to prosecute him in exchange for his testimony, to which the informant responded negatively. Defense counsel also questioned the informant on his experience as an informant and his manner of receiving payment. Defense counsel inquired as to the informant’s method of finding marijuana dealers. Defense counsel also questioned the informant on his prior convictions. The Appellant now contends that the court’s sustaining of the government’s objection denied him his right of cross-examination guaranteed by the Sixth Amendment.
A trial court, based upon its sound discretion, may limit the scope and extent of cross-examination, and its decision will not be disturbed on review unless an abuse of discretion is present.
United States v. Diecidue,
Although defense counsel was forbidden from discovering whether the informant had ever been indicted, he was able to question the informant on the existence of any promises made to him by the government. The Appellant’s ability to examine the informant on the existence of any promises made by the government allowed him to obtain the same information which he sought to obtain in the question concerning the indictments. The scope of defense counsel’s questioning definitely placed the issues of the informant’s credibility, bias and motive before the jury. Further, defense counsel was allowed to question the informant on his status as a paid informant and the methods he used in finding marijuana sources.
Therefore, it is clear that defense counsel was able to present the issues of the bias and credibility of the informant to the jury in a satisfactory manner. The essence of defense counsel’s attack upon the informant was presented to the jury. Thus, the trial court’s limitation of defense counsel’s questioning in this case did not amount to error since Appellant clearly was accorded his Sixth Amendment right to cross-examination.
See United States v. Goodman,
AFFIRMED.