State v. Smith, C-060387 (6-8-2007)

2007 Ohio 2796
CourtOhio Court of Appeals
DecidedJune 8, 2007
DocketNo. C-060387.
StatusPublished
Cited by1 cases

This text of 2007 Ohio 2796 (State v. Smith, C-060387 (6-8-2007)) is published on Counsel Stack Legal Research, covering Ohio Court of Appeals primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
State v. Smith, C-060387 (6-8-2007), 2007 Ohio 2796 (Ohio Ct. App. 2007).

Opinion

DECISION. *Page 2
{¶ 1} Petitioner-appellant Garey Smith appeals the Hamilton County Common Pleas Court's judgment denying his postconviction petition. We affirm the court's judgment.

{¶ 2} In May of 2001, Smith shot and killed Jimmy Gordon and shot and seriously injured Jeff King, Andre Ridley, and Steven Franklin. In September of 2002, Smith was convicted upon jury verdicts finding him guilty of murder in the death of Gordon; of attempted murder and two counts of felonious assault with specifications for shooting Ridley; of attempted murder and two counts of felonious assault with specifications for shooting Franklin; of two counts of felonious assault with specifications for shooting King; and of a single count of having a weapon under a disability. On appeal, we reversed Smith's convictions on the ground that he had been denied his right to represent himself at trial.1

{¶ 3} In Smith's second trial, in October of 2004, the jurors failed to reach verdicts on the murder and attempted-murder charges. But they found Smith guilty of having a weapon under a disability and of two counts of felonious assault each for shooting Ridley, Franklin, and King.

{¶ 4} In March of 2005, the state tried Smith a third time on the charge of murder in the shooting death of Gordon. The jury acquitted him.

{¶ 5} In the interim between the second and third trials, Smith challenged his October 2004 convictions in a direct appeal to this court. We reversed his convictions for felonious assault upon King and remanded for a new trial on the charges. We also vacated the sentences imposed on the remaining counts and remanded for resentencing *Page 3 under State v. Foster.2 And we affirmed the balance of the judgment of conviction.3 The Ohio Supreme Court dismissed Smith's appeal of our decision.4

{¶ 6} Smith also, in the interim, challenged his October 2004 convictions by filing with the common pleas court a petition for postconviction relief under R.C. 2953.21 et seq. The common pleas court denied his petition, and this appeal followed.

I. Motion to Appoint Counsel
{¶ 7} Smith presents on appeal nine assignments of error.5 We address first, and overrule, that aspect of his first assignment of error that challenges the common pleas court's refusal to appoint counsel to assist him in filing his postconviction petition. Smith was not entitled to appointed counsel because neither the state nor the federal constitution confers upon an indigent petitioner the right to be represented by counsel in a postconviction proceeding.6

II. Postconviction Petition
{¶ 8} Smith also assails, in his first assignment of error, the common pleas court's failure to conduct an evidentiary hearing on his petition. And in his remaining assignments of error, he essentially restates eight of the ten claims advanced in his petition. Read together and reduced to their essence, the assignments of error challenge the denial of his postconviction petition without an evidentiary hearing. The challenge is untenable.

{¶ 9} To prevail on a postconviction claim, the petitioner must demonstrate an infringement of his rights in the proceedings resulting in his conviction that rendered *Page 4 the conviction void or voidable under the state or federal constitution.7 The petitioner bears the initial burden of demonstrating, through his petition, supporting affidavits, and the case record, "substantive grounds for relief."8 A common pleas court may dismiss a postconviction claim without a hearing if the petitioner has failed to submit with his petition evidentiary material setting forth sufficient operative facts to demonstrate substantive grounds for relief.9

A. Res Judicata
{¶ 10} The common pleas court denied Smith's petition upon its conclusion that his postconviction claims were barred under the doctrine of res judicata. "Under the doctrine of res judicata, a final judgment of conviction bars a convicted defendant who was represented by counsel from raising and litigating in any proceeding[,] except an appeal from that judgment, any defense or any claimed lack of due process that was raised or could have been raised by the defendant at the trial [that] resulted in that judgment of conviction or on an appeal from that judgment."10 Thus, a common pleas court may apply the doctrine of res judicata to dismiss a postconviction claim if the claim presents a matter that can fairly be determined in a direct appeal without resort to evidence outside the record.11

{¶ 11} In his third postconviction claim, Smith asserted that the trial court had denied him the right of compulsory process and the right to present witnesses in his defense when it quashed his subpoena of Cincinnati's mayor. In his sixth claim, Smith asserted that the court had denied him his right to represent himself at trial. In his seventh claim, he contended that he had been twice placed in jeopardy and had *Page 5 received multiple punishments for a single offense. In his eighth claim, he asserted that the trial court had denied him due process and equal protection when it sentenced him to maximum, consecutive prison terms based upon factors not found by a jury or supported by the evidence. And in his ninth claim, he contended that his convictions had been based upon the victims' perjured testimony.

{¶ 12} Smith's third, sixth, seventh, eighth, and ninth postconviction claims were wholly based upon matters contained in the trial record. Thus, the claims either were or could have been fairly determined in Smith's direct appeal. Therefore, the common pleas court properly applied the doctrine of res judicata to dismiss the claims.12

{¶ 13} In his first postconviction claim, Smith challenged the trial court's impartiality. In his fourth claim, he contended that the trial court had denied him due process and equal protection when it had refused to instruct the jury on aggravated assault as an offense of inferior degree to felonious assault. And in his fifth claim, he contended that he had been denied a fair trial when the assistant prosecutor, during closing arguments, had referred to facts not in evidence.

{¶ 14} In support of his first, fourth, and fifth claims, Smith offered evidence outside the record. Nevertheless, these claims were also subject to dismissal under the doctrine of res judicata, because they presented matters that either were or could have been fairly determined in his direct appeal without resort to such evidence.13

B. Expert Opinion Testimony

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Related

State v. Creech
2013 Ohio 3791 (Ohio Court of Appeals, 2013)

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Bluebook (online)
2007 Ohio 2796, Counsel Stack Legal Research, https://law.counselstack.com/opinion/state-v-smith-c-060387-6-8-2007-ohioctapp-2007.