People of Michigan v. Dayshun Tywone Spears

CourtMichigan Court of Appeals
DecidedMay 6, 2021
Docket350716
StatusUnpublished

This text of People of Michigan v. Dayshun Tywone Spears (People of Michigan v. Dayshun Tywone Spears) is published on Counsel Stack Legal Research, covering Michigan Court of Appeals primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
People of Michigan v. Dayshun Tywone Spears, (Mich. Ct. App. 2021).

Opinion

If this opinion indicates that it is “FOR PUBLICATION,” it is subject to revision until final publication in the Michigan Appeals Reports.

STATE OF MICHIGAN

COURT OF APPEALS

PEOPLE OF THE STATE OF MICHIGAN, UNPUBLISHED May 6, 2021 Plaintiff-Appellee,

v No. 350716 Berrien Circuit Court DAYSHUN TYWONE SPEARS, LC No. 2019-000187-FC

Defendant-Appellant.

Before: SHAPIRO, P.J., and CAVANAGH and REDFORD, JJ.

CAVANAGH J. (dissenting).

I respectfully dissent. I would reverse the trial court’s denial of defendant’s motion for a mistrial and remand for a new trial. Contrary to the majority, I would hold that the improper testimony by Detective Tyler Roots deprived defendant of a fair trial.

The surveillance video was the primary piece of evidence establishing that defendant was the alleged shooter. And Detective Roots affirmatively—and improperly—testified that he could see defendant in that video in the seconds immediately around the shooting. Detective Roots testified that he reviewed the video over 50 times, thereby bolstering his identification testimony. In essence, Detective Roots impermissibly opined that defendant was guilty. See People v Heft, 299 Mich App 69, 81: 829 NW2d 266 (2012). The only other evidence presented that implicated defendant as the shooter was the victim’s testimony. However, the reliability of the victim’s identification testimony was questionable. The evidence established that the victim had drank two pints of tequila and a mixed cocktail before he was shot, and had given inconsistent accounts of the events that transpired. Further, the victim had told officers during multiple interviews that he was not able to see the shooter at the time of the shooting. Nevertheless, at trial the victim identified defendant as the shooter.

Under these circumstances, and in light of the fact that the jury would have likely been unduly influenced by the seemingly credible identification testimony of Detective Roots, I would hold that the curative instruction was an inadequate remedy and the detective’s improper testimony

-1- on this critical item of evidence deprived defendant of his right to a fair trial. See People v Alter, 255 Mich App 194, 205; 659 NW2d 667 (2003).

/s/ Mark J. Cavanagh

-2-

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Related

People v. Alter
659 N.W.2d 667 (Michigan Court of Appeals, 2003)
People v. Heft
829 N.W.2d 266 (Michigan Court of Appeals, 2012)

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Bluebook (online)
People of Michigan v. Dayshun Tywone Spears, Counsel Stack Legal Research, https://law.counselstack.com/opinion/people-of-michigan-v-dayshun-tywone-spears-michctapp-2021.