Commonwealth v. Barbosa

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Defendant was convicted of having a firearm without a license in his control in a motor vehicle, possession of ammunition without a firearm identification card, and possession of marijuana. On appeal, defendant argued, among other things, that the admission in evidence of drug certificates of analysis and a ballistic certificate of examination violated his right to confrontation as set forth in Melendez-Diaz v. Massachusetts. Because defendant did not argue that the erroneous admission of the ballistics certificate of examination had any impact as to the unlawful possession of ammunition conviction, the court confined its review to the effect of its admission solely as to the unlawful possession of a firearm conviction. Because the evidence that the weapon was operable was not overwhelming without the ballistics certificate of examination, the court concluded that the admission of the certificate was not harmless beyond a reasonable doubt, and that the judgment of conviction on the indictment charging defendant with having a firearm without a license in his control of a motor vehicle must be reversed. View "Commonwealth v. Barbosa" on Justia Law