Defendant was tried before a jury and found guilty of aggravated assault as a lesser included offense of murder (while in the commission of an aggravated assault) (Count 1), possession of a firearm during the commission of a crime (murder alleged in Count 1) (Count 2) and possession of a firearm while on probation (as a first offender) for committing burglary (Count 3). This appeal followed the denial of defendant’s motion for new trial. Held:
In his sole enumeration, defendant contends the trial court erred in failing to grant his motion “to bifurcate the possession of a firearm by a first offender probationer count from the other unrelated counts in the indictment.”
Even though defendant was indicted in Count 1 for murder (while in the commission of an aggravated assault), “[t]he possession [of a firearm while on probation (as a first offender) for committing burglary] charge was material to the felony murder charge since it could have served as the underlying felony for a felony murder conviction. Williams v. State,
Judgment affirmed.
