Justia Maryland Supreme Court Opinion Summaries
Articles Posted in Constitutional Law
Bd. of Elections v. Libertarian Party
Appellees, the Libertarian Party and the Green Party, enjoyed ballot access privileges from 2007 to 2010, when they were unable to show their respective memberships consisted of at least one percent of registered Maryland voters or that their nominees for Governor received at least one percent of the total vote. Appellees then submitted 10,000 petition signatures to Appellant, the State Board of Elections, to regain their ballot access privileges. Appellant determined that many of the submitted petition signatures were invalid and, thus, Appellees did not satisfy the statutory requirements. Appellees sought a declaratory judgment that Appellant incorrectly applied the law regarding validation of petition signatures and that the applicable law was whether there was "sufficient cumulative information" from which Appellant could identify a signatory on a petition as a registered voter. The circuit court granted summary judgment for Appellees. The Court of Appeals vacated the circuit court, holding (1) the court erred in relying on a supposed "sufficient cumulative information" standard, as the requirements for petition signatures under Md. Code Ann. Elec. Law 6-203(a) are mandatory; and (2) pursuant to section 6-203(b), Appellant appropriately refused to validate and count duplicate signatures of individuals who previously signed the same petition. Remanded. View "Bd. of Elections v. Libertarian Party" on Justia Law
Nicolas v. State
Following a jury trial, Petitioner McKenzie Nicolas was convicted of resisting arrest and second degree assault stemming from a confrontation with two officers at Petitioner's home. The court of special appeals affirmed. The Court of Appeals affirmed in part and reversed in part, holding (1) a jury note with no date or time stamp found in the appellate record does not establish that the trial court received the jury communication in order to trigger the requirements of Md. Rule 4-326(d); but (2) the court of special appeals erred in holding that Petitioner's convictions for second degree assault do not merge into his conviction for resisting arrest for sentencing purposes where the record is ambiguous as to whether the jury convicted Petitioner of second degree assault based on acts different than those underlying his conviction for resisting arrest. Remanded. View "Nicolas v. State" on Justia Law
Black v. State
Petitioner Ocie Black was convicted of child sexual abuse, second degree sex abuse, and third degree sex abuse and sentenced to thirty-two years incarceration. Petitioner appealed, claiming that the trial court erred in failing to disclose a jury note to him and his trial counsel. The intermediate appellate court affirmed. The Court of Appeals affirmed, holding (1) a jury note with no date or time stamp found in the appellate record does not establish that the trial court received the jury communication at issue in order to trigger the requirements of Md. Rule 4-326(d), which governs communications between a jury and the trial court; and (2) therefore, the trial court's responsibilities under the rule were never triggered. View "Black v. State" on Justia Law
Genies v. State
While incarcerated, Petitioner Daniel Genies masturbated in sight of a female correctional officer, while smiling and making eye contact with her, despite her orders to stop. Genies was subsequently charged with committing the common law offense of indecent exposure and violating Md. Code Ann. Corr. Servs. 8-803, which prohibits an inmate with intent to harass a correctional officer from indecently exposing private parts of the inmate's body in the officer's presence. A jury acquitted Genies of the statutory offense but convicted him of the common law offense. The court of special appeals affirmed. Genies appealed, arguing that the statutory, specific intent crime preempted the field, with respect to indecent exposure by an inmate to a correctional officer, and thus the trial court erred by failing to dismiss the charge of common law indecent exposure. The Court of Appeals affirmed, holding that the trial court (1) did not err in failing to dismiss the common law charge because section 8-803 was intended to serve as a discrete offense, supplementing rather than supplanting the common law, so both prevailed; and (2) did not abuse its discretion by denying Genies's motion for a new trial without a hearing. View "Genies v. State" on Justia Law
Abdul-Maleek v. State
Petitioner Muhammad Abdul-Maleek was convicted in the district court of theft. Petitioner exercised his right to appeal and was afforded a de novo trial by jury in the circuit court. The jury likewise convicted Petitioner of left, and the circuit court imposed a more severe sentence than that imposed by the district court. Petitioner appealed, asserting that the circuit court impermissibly based his sentence on the fact that he exercised his right to appeal and receive a de novo jury trial. The Court of Appeals vacated the sentence, holding that Petitioner was entitled to resentencing because the court's comments at sentencing could cause a reasonable person to conclude that the sentence was based in part on Petitioner's exercise of his right to a de novo trial on appeal. Remanded for resentencing. View "Abdul-Maleek v. State" on Justia Law
King v. State
Appellant Alonzo King was arrested in 2009 on first- and second-degree assault charges. Pursuant to the Maryland DNA Collection Act, King's DNA was collected, analyzed, and entered into Maryland's DNA database. King was convicted on the second-degree assault charge but, pending his trial on that charge, his DNA profile generated a match to a DNA sample collected from a sexual assault forensic examination conducted on the victim of an unsolved 2003 rape. This hit provided the sole probable cause for a subsequent grant jury indictment of King for the rape. A later-obtained search warrant ordered collection from King of an additional reference DNA sample, which also matched the DNA profile from the 2003 rape. King was subsequently convicted of first-degree rape and sentenced to life in prison. The Court of Appeals reversed, holding that the portions of the DNA Act authorizing collection of a DNA sample from a mere arrestee were unconstitutional as applied to King, as the State had no probable cause or individualized suspicion supporting obtention of the DNA sample collection for King's first- and second-degree assault charges. View "King v. State" on Justia Law
State v. Stringfellow
After a jury trial, Reginald Stringfellow was convicted of possessing a regulated firearm after having been convicted of a disqualifying crime and wearing, carrying, or transporting a handgun. Stringfellow appealed, arguing that his objection to a voir dire question proposed by the prosecutor and given by the trial judge during jury selection prejudiced the jurors against him by imputing his guilt, devaluing fingerprint evidence, and lowering the State's burden of proof. At issue before the Court of Appeals was whether Stringfellow's unsuccessful objection to the question went to the composition of the jury, which would have resulted in his objection being waived for the purposes of appellate review because he accepted the jury chosen pursuant to the questioning, or whether the nature of his objection was incidental to the composition of the jury, which, notwithstanding Stringfellow's acceptance of the jury, would have preserved his objection for appellate consideration. The Court held that Stringfellow's objection went to the composition of the jury, and thus, Stringfellow waived any future opportunity to complain on appeal about the objected-to question and its potential effect. In addition, even assuming the objection was not waived, the asking of the question was harmless error. View "State v. Stringfellow" on Justia Law
HNS Dev., LLC v. People’s Counsel for Baltimore County
In 1991, the predecessor in title to the disputed property at issue in this case to Petitioner, HNS Development, and Baltimore County failed to resolve conclusively whether certain development restrictions would be placed on parcels including and adjacent to a historic building. HNS purchased the two parcels in 2004 with knowledge of a cautionary note on the 1991 development plan. After having its proposed amended development plan rejected by three county agencies, the circuit court, and the court of special appeals, HNS asked the Court of Appeals to conclude that its amended development plan met the applicable development regulations of the Baltimore County Code and ignore the conceded Baltimore County Master Plan conflict. Respondents, People's Counsel for Baltimore County and the Greater Kingsville Community Association, argued that the Master Plan conflict provided a stand-alone basis for the County to reject the proposed amended development plan. The Court of Appeals agreed with Respondents and affirmed the judgment of the court of special appeals. View "HNS Dev., LLC v. People's Counsel for Baltimore County" on Justia Law
Toland v. Futagi
Peter Toland, a Maryland resident, filed a complaint to establish custody of his daughter, Erika, who lived with her maternal grandmother, Akiko Futagi, in Japan. The mother of Erika, having previously been awarded custody by a Japanese court, died in 2007. A Japanese decree issued thereafter, and without notice to Toland, appointed Futagi as the guardian of Erika. Toland subsequently amended his complaint and alleged that Maryland was the appropriate forum to determine custody under the Maryland Uniform Child Custody Jurisdiction and Enforcement Act. The circuit court dismissed Toland's complaint, concluding (1) the Japanese guardianship decree did not constitute a violation of Toland's due process rights; and (2) Japan was the home state of Erika under the Act because Erika had lived exclusively in Japan for her entire life. The Court of Appeals affirmed, holding (1) the circuit court's dismissal of Toland's complaint did not violate his due process rights, as they were not implicated by the Japanese decree; and (2) the circuit court properly applied the Act to conclude that it should not exercise jurisdiction over Toland's complaint to establish custody, as the child had no connection with Maryland, and Japan had not declined custody jurisdiction. View "Toland v. Futagi" on Justia Law
Washington v. State
Petitioner Ricky Washington was convicted by a jury of first degree rape and related offenses. Petitioner appealed, claiming, inter alia, that the trial court had abused its discretion in declining to ask during voir dire of the jury panel whether any prospective juror would be more likely to believe a witness solely by virtue of the witness having served in the military or being employed by the military. The court of special appeals affirmed. The Court of Appeals affirmed, holding (1) only certain questions are mandatory during voir dire of a jury panel if they are directly related to the facts and circumstances of the case; (2) based on the circumstances of this case, Petitioner's proposed question was not mandatory, and thus, it was within the discretion of the trial court whether to pose the question to the jury trial; and (3) the trial court did not abuse its discretion in denying Petitioner's request to ask the question. View "Washington v. State" on Justia Law