People v. Goodwine

2023 NY Slip Op 34731(U)
New York County Court, Westchester County·Decided February 2, 2023·No. Indictment No. 72339-22/002·Unpublished

Opinion

People v Goodwine 2023 NY Slip Op 34731(U) February 2, 2023 County Court, Westchester County Docket Number: Indictment No. 72339-22/002 Judge: Robert J. Prisco Cases posted with a "30000" identifier, i.e., 2013 NY Slip Op 30001(U), are republished from various New York State and local government sources, including the New York State Unified Court System's eCourts Service. This opinion is uncorrected and not selected for official publication. COUNTY COURT: STATE OF NEW YORK COUNTY OF WESTCHESTER ------------------------------------------------------------------x THE PEOPLE OF THE STATE OF NEW YORK

-against- DECISION & ORDER

ANTHONY GOODWINE, Indictment No: 72339-22/002 Defendant. ----. ---------- .--------------------------------------------------x ROBERT J. PRISCO, J.

Defendant ANTHONY GOODWINE is charged by Indictment Number 72339-22/002 with one count of Burglary in the Second Degree pursuant to Penal Law [PL]§ 140.25 (2) [Count One], one count of Grand Larceny in the Third Degree pursuant to PL§ 155.35 (1) [Count Two], and one count of Criminal Possession of Stolen Property in the Third Degree pursuant to PL I § 165.50 [Count Three]. The charges pertain to Defendant allegedly aiding, abetting, and acting in concert with another person in unlawfully entering a dwelling located at 35 Echo Lane, in the Town of Mamaroneck, and his alleged theft of property which had a value in excess of three- thousand dollars ($3,000.00). The offenses are alleged to have occurred at approximately 7:10 p.m. on February 26, 2022. On October 7, 2022, Defendant was arraigned by this Court on the charges contained in Indictment Number 72339-22/002. Attached to the indictment are the People's Demand for a Notice of Alibi pursuant to Criminal Procedure Law [CPL] § 250.20 and two (2) CPL § 710.30 (1) (a) Notices regarding the People's intent to offer evidence of statements allegedly made by Defendant to a l,llember of the Westchester County Police Department. 1 During the court appearance on October 7, 2022, the People served and filed a Certificate of Compliance pursuant to CPL§ 245.50 (1), with an attached "Discovery Disclosure Index" that identifies the items and materials that have reportedly been disclosed or provided to· defense counsel. Also attached to the Certificate of Compliance are Discovery Package Transmittal

1The two (2) CPL § 710.30. (I) (a) notices pertain to electronically recorded oral statements that were allegedly made by Defendant in the vicinity of Nardozzi Place, in the Town of Mamaroneck, at approximately 8:00 p.m., on February 26,2022: ·

Fl-LED 1 MAR O8 2023 TIMOTHY C. IOOi'JI COUNTY CLERK COUNlY OF WESTCH~STER

[* 1] Notices from the Westchester County District Attorney's Office which delineate the dates, times and methods of such disclosures. Within the People's Certificate of Compliance is a "Statement of Readiness," wherein the People state that they "confirm and announce their readiness for trial on all counts charged." Although the grand jury minutes were still outstanding, the People also verbally confirmed their readiness for trial when inquired of by this Court.

On November 17, 2022, the People served and filed a Notice of Motion for Buccal Swab, an Affirmation in Support, and a Memorandum of Law seeking an Order "requiring the defendant. .. to permit the taking of DNA samples from his body via a buccal cell swab," pursuant to CPL§ 245.40 (1) (e). On December 6, 2022, the Court received Defendant's "Notice of Pre-Trial Motions Pursuant to CPL Article 255" (hereinafter "Notice of Motion"), an Attorney's Affirmation and a Memorandum of Law, seeking various forms of judicial intervention and relief.

On December 14; 2022, the Court received Defendant's Affirmation in Opposition to the People's Order to Show Cause for the taking Qf buccal cell samples. On December 27, 2022, this Court received the People's Affirmation in Opposition and Memorandum of Law in response to Defendant's motion for omnibus relief. Attached to the People's Affirmation is Exhibit 1, which consists of Discovery Package Transmittal Notices from the Westchester County District Attorney's Office. The Court .is also in receipt of an unredacted certified copy of the stenographic transcript of the Grand Jury proceeding dated September 26, 2022, an unredacted certified copy of the stenographic transcript of the instructions on the law dated September 28, 2022, and a flash drive which contains copies of the Grand Jury exhibits that were received in evidence. The Court has further been provided with the Search Warrant Applications and Orders dated February 8, February 27, and May 6, 2022. On December 27, 2022, the People also served and filed a Supplemental Certificate of Compliance, which includes a "Statement of Readiness," wherein "[t]he People confirm and announce their readiness for trial on all counts charged in this matter." Attached to the Supplemental Certificate of Compliance is a copy of the People's Discovery Disclosure Index and Discovery Package Transmittal Notices from the Westchester County District Attorney's Office

[* 2] which identify the additional items and information that have been disclosed to Defendant and delineate the dates, times and methods of such disclosures. After consideration of the above referenced submissions and the aforementioned unredacted certified stenographic transcripts, the Court decides Defendant's Motion as follows:

1. MOTION TO DISMISS INDICTMENT NUMBER 72339-22/002 FOR FACIAL INSUFFICIENCY.

Citing CPL§ 210.25 (1), Defendant moves to dismiss the indictment on the ground that "it does not substantially conform to the requirements stated in.[CPL] Section 200.50 (7) (a) ... [as] [t]here is no plain and concise factual statement which asserts facts supporting every element of the offense(s) charged and/or the defendant's commission thereof with sufficient precision to clearly apprise _the defendant of the conduct which is the subject of the accusation" (see Point A, Page 2, of Defendant's Notice of Motion and Point A, Page 1, of Defendant's Memorandum of Law).

In response, the People assert that Defendant's motion should be denied as the instant indictment provides facts that support every element of the offenses charged and "does so in the language of the statute" (see Point I, Pages 5-6, of the People's Memorandum of Law).

"The essential purpose of a criminal indictment is to provide a defendant 'with fair notice of the accusations made against him, so that he will be.able to prepare a defense"' (People v Winston, 205 AD3d 32, 38 [1st Dept 2022], quoting People v Iannone, 45 NY2d 589, 594 [1978]; see People v Morris, 61 NY2d 290, 293 [1984]; People v Williams, 132 AD3d 785, 785-786 [2d Dept 2015], Iv. denied26 NY3d 1151 [2016], recon. denied 27 NY3d 1009 [2016]; People v Atta, 126 AD3d 713, 715 [2d Dept 2015], Iv. denied 25 NY3d 1159 [2015]). "An indictment must contain 'a plain and concise factual statement in each count which, without allegations of an evidentiary nature, ... asserts facts supporting every element of the offense charged and the defendant's ... commission thereof with sufficient precision to clearly apprise [him] of the conduct which is the subject of the accusation"' (People v Nunez-Garcia, 178 AD3d 1087, 1088 [2d Dept 2019], Iv. denied35 NY3d 943 [2020]), citing CPL§ 200.50 (7) (a); see People v Grega, 72 NY2d 489,498 [1988]; People v Morris, 61 NY2d at 293; People v Iannone, 45 NY2d at 598; People v Rice, 172 AD3d 1616, 1617 [3d Dept 2019]; People v Singleton, qo AD2d 598, 599 [2d Dept

[* 3] 1987], aff'd72 NY2d 845 [1988]).

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