Commonwealth v. Kuzia
This text of 95 N.E.3d 301 (Commonwealth v. Kuzia) is published on Counsel Stack Legal Research, covering Massachusetts Appeals Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.
Opinion
A jury convicted the defendant, Craig Kuzia, Jr., of assault and battery by means of a dangerous weapon, G. L. c. 265, § 15A(b ). The defendant appeals, asserting that the trial judge should have granted his motions for a required finding of not guilty because on this evidence the Commonwealth failed to disprove the defenses of necessity and self-defense.2 We disagree and affirm.
In reviewing the denial of a motion for a required finding of not guilty, we "consider and determine whether the evidence, in its light most favorable to the Commonwealth, notwithstanding the contrary evidence presented by the defendant, is sufficient ... to permit the jury to infer the existence of the essential elements of the crime charged." Commonwealth v. Latimore,
In this case, self-defense was a live issue at trial. Therefore, we review the evidence in the light most favorable to the Commonwealth to determine whether the evidence was sufficient for the jury to have found the absence of self-defense beyond a reasonable doubt. On this record, we conclude, as did the trial judge, that the evidence was sufficient.
Despite conflicting testimony to the contrary, the jury could have found the following facts. See Kamishlian,
The defendant then got out of his vehicle, and, swinging a "breaker bar,"3 went up to Carlow. Carlow was still seated in his vehicle. Speaking aggressively, the defendant asked Carlow what he was doing there. Upon seeing the defendant raise the breaker bar over his head, Carlow quickly drove his vehicle over an embankment by the end of the driveway, onto the street. Carlow parked the car, got out of his vehicle, and asked the defendant what was going on.
At that point, the defendant came toward Carlow, swinging the breaker bar. Carlow backed up and grabbed a rock or piece of asphalt from the ground, telling the defendant to back off. The two yelled at each other and Carlow dropped the asphalt rock and turned to get back into his car. The defendant followed Carlow. The two were now adjacent to Carlow's car. Carlow turned to face the defendant, and the defendant struck a blow to Carlow's head with the breaker bar, causing a head laceration and bleeding. This evidence, if credited by the jury, was sufficient to support the elements of assault and battery by means of a dangerous weapon4 and the absence of self-defense.5
The evidence also sufficiently negated the elements of a necessity defense.6 The defense of necessity "exonerates one who commits a crime under the 'pressure of circumstances' if the harm that would have resulted from compliance with the law ... exceeds the harm actually resulting from the defendant's violation of the law." Commonwealth v. Hood,
Judgment affirmed.
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Cite This Page — Counsel Stack
95 N.E.3d 301, 92 Mass. App. Ct. 1120, Counsel Stack Legal Research, https://law.counselstack.com/opinion/commonwealth-v-kuzia-massappct-2017.