Tony Williams was convicted of the murder of Anthony Winston and sentenced to sixty-five years imprisonment. He raises a single issue in this direct appeal: Whether the reasonable doubt instruction recommended by this Court in
Winegeart v. State,
Factual and Procedural Background
On August 25, 1996, Williams and Anthony Winston got into an argument over a woman. According to Williams, Winston pointed a gun at him. Williams then slashed Winston several times with a “box cutter knife.” Winston died as the result of bleeding caused by stab wounds to the head, neck, chest, and extremities. A jury convicted Williams of murder and the trial court sentenced him to sixty-five years imprisonment.
Reasonable Doubt Instruction
The trial court gave the following instruction defining reasonable doubt:
The State has the burden of proving the defendant guilty beyond a reasonable doubt. Some of you may have served as jurors in civil cases, where you were told that it is only necessary to prove that a fact is more likely true than not true. In criminal cases, the state’s proof must be more powerful than that. It must be beyond a reasonable doubt.
Proof beyond a reasonable doubt is proof that leaves you firmly convinced of the defendant’s guilt. There are very few things in this world that we know with absolute certainty, and in criminal cases the law does not require proof that overcomes every possible doubt. If, based on your consideration of the evidence, you are firmly convinced that the defendant is guilty of the crime charged, you should find him guilty. If, on the *1095 other hand, you think there is a real possibility that he is not guilty, you should give him the benefit of the doubt and find him not guilty.
This is a near verbatim recitation of the Federal Judicial Center pattern instruction recommended by a majority of this Court in
Winegeart v. State,
The Due Process Clause of the Fourteenth Amendment requires the State to prove every element of a charged offense beyond a reasonable doubt.
See In re Winship,
Here, the trial court’s instruction began with the statement that “[t]he State has the burden of proving the defendant guilty beyond a reasonable doubt.” In
Barber v. State,
Although this instruction appears to be widely used as a means of explaining the nebulous concept of reasonable doubt to jurors in many jurisdictions, Williams points to no case from any jurisdiction that has found it to undermine the presumption of innocence or otherwise deprive a defendant of his or her liberty without due process of law in violation of the Fourteenth Amendment.
2
Indeed, a number of federal courts have rejected Fifth Amendment challenges to the final sentence of this instruction.
See Rodriguez,
*1097 In sum, the trial court did not abuse its discretion by giving the instruction a majority of this Court recommended in Winegeart 5
Conclusion
The judgment of the trial court is affirmed.
Notes
. Williams also tendered, and the trial court gave, the alternative definition of reasonable doubt that appears as Pattern Instruction 1.16.
A reasonable doubt is a fair, actual and logical doubt that arises in your mind after an impartial consideration of all the evidence and circumstances in the case. It should be a doubt based upon reason and common sense and not a doubt based upon imagination or speculation.
To prove the defendant’s guilt of the elements of the crime charged beyond a reasonable, doubt, the evidence must be such that it would convince you of the truth of it, to such a degree of certainty that you would feel safe to act upon such conviction, without hesitation, in a matter of the highest concern and importance to you.
Although Williams’ argument in this appeal focuses on the Winegeart instruction, he also suggests that giving two instructions on the subject was confusing. However, because any confusion was created by the trial court giving the instruction he tendered, he cannot claim error on this basis.
.Although not cited by Williams, we note that two federal cases have cautioned against the use of the words "real possibility" in a reasonable doubt instruction.
See United States v. Porter,
. As the U.S. Supreme Court observed in
Victor,
"[i]n only one case have we held that a definition of reasonable doubt violated the Due Process Clause.”
. In addition, as this Court observed in
Winegeart,
*1097 (Ginsburg, J., concurring in part and concurring in the judgment).
. Williams concludes his brief with the assertion that his conviction violates his "right to due process and due course of law,” citing both the Fifth and Fourteenth Amendments and Article I, § 12 of the Indiana Constitution. This is the only mention of the state constitution. Because Williams provides no authority or independent analysis supporting a separate standard under the state constitution, any state constitutional claim is waived.
See Brown v. State,
