Justia Massachusetts Supreme Court Opinion Summaries
Commonwealth v. Charles
After a jury trial, Defendant was convicted of unlawful possession of a firearm and unlawful possession of a loaded firearm. In addition, Defendant was convicted after a jury-waived trial of violating the armed career criminal statute. The only ammunition in evidence was that which was loaded in the firearm. The appeals court (1) reversed the convictions on the ground that certificates of ballistics analysis were admitted in violation of Defendant's constitutional right to confront witnesses against him; and (2) directed the entry of judgment for Defendant on the loaded firearm charge on the ground that, where he had been acquitted of possessing the ammunition that was loaded into the firearm, retrial on that charge would violate double jeopardy protections and principles of issue preclusion. The Supreme Court reversed in part, holding that Defendant's acquittal on the ammunition charge did not preclude retrial on the loaded firearm charge. View "Commonwealth v. Charles" on Justia Law
Commonwealth v. Fitzpatrick
After a mistrial at which the jury was deadlocked, Defendant was retried and convicted of two indictments charging murder in the first degree on a theory of deliberate premeditation. The Supreme Court affirmed the convictions, holding (1) the trial court properly disallowed Defendant's claims that his motion to dismiss the indictments, filed before retrial, because the Commonwealth presented legally sufficient evidence at his first trial; (2) a second trial in these circumstances did not violate constitutional and common-law prohibitions against double jeopardy; (3) the trial judge did not err in his evidentiary rulings or in failing to instruct the jury pursuant to Commonwealth v. Bowden. View "Commonwealth v. Fitzpatrick" on Justia Law
Commonwealth v. Scott
Defendant was convicted by a jury of murder in the first degree, armed assault with intent to kill, assault with a dangerous weapon, and various firearms offenses. The Supreme Court affirmed Defendant's convictions and declined to grant him a new trial or to reduce the verdict to a lesser degree of guilt, holding (1) the trial judge did not abuse his discretion in allowing the peremptory challenge of an African-American juror; (2) the trial judge erred in admitting certain evidence concerning Defendant's juvenile record, but the error was harmless; (3) although some of the prosecutor's statements during closing argument may have exceeded the bounds of permissible argument, they were unlikely to have affected the jury's verdicts; (4) the trial judge did not err in concluding that Defendant was not entitled to an instruction on the use of force in defense of another; and (5) the trial court did not err in denying Defendant's motion for a new trial based on Defendant's assertion that he received ineffective assistance of trial counsel. View "Commonwealth v. Scott" on Justia Law
Ellis v. Dep’t of Indus. Accidents
Petitioners, attorneys who were the subject of disciplinary proceedings, challenged the validity of two aspects of the Commonwealth's workers' compensation, claiming (1) Mass. Gen. Laws ch. 152, 7C, which authorizes the senior judge of the department of industrial accidents to suspend the right of an attorney to "practice or appear before the department," violated the separation of powers explicitly provided for under article 30 of the Massachusetts Declaration of Rights; and (2) 452 Mass Code Regs. 1.19(3), which precludes recovery of an employee's costs and attorney's fees if the employee does not accept an insurer's offer to pay the full amount of the compensation claim, conflicted with Mass. Gen. Laws ch. 15, 13A(5), which governs the award of attorney's fees and expenses where a claim proceeds to the hearing stage. The Supreme Court reversed in part, holding (1) chapter 152, section 7C is invalid as a violation of article 30 insofar as it authorizes the senior judge of the department to suspend attorneys from appearing before the department; and (2) section 1.19(3) is a valid interpretation of chapter 152, section 13A. Remanded. View "Ellis v. Dep't of Indus. Accidents" on Justia Law
Marshall v. Commonwealth
A jury convicted of Defendant of being an accessory before the fact to murder. The Supreme Court reversed Defendant's conviction because the evidence did not establish that he had done any act before the assault to counsel, hire, or otherwise procure the assault. The Commonwealth subsequently sought and the grand jury returned an indictment charging Defendant with murder for his involvement in the killing. Defendant moved to dismiss the indictment, arguing that, because murder was a form, or a "species," of the lesser included offense of accessory before the fact to murder, a second prosecution was barred by double jeopardy. A judge denied the motion. The Supreme Court affirmed, holding (1) the indictment that charged Defendant with murder in the first degree did not violate the prohibition against double jeopardy; and (2) under the circumstances of this case, given the erroneous jury instructions and the erroneous admitted evidence, prosecution of Defendant for murder in the first degree was not barred on grounds of double jeopardy. View "Marshall v. Commonwealth" on Justia Law
Commonwealth v. Lennon
After a jury conviction, Defendant was convicted of deliberately premeditated murder. The Supreme Court affirmed the conviction and declined to reduce the verdict or order a new trial, holding that the trial court did not err in (1) refusing to instruct the jury that they could consider evidence of voluntary intoxication on the question of Defendant's capacity to premeditate deliberately; (2) refusing to instruct the jury that they could return a verdict of voluntary manslaughter based on evidence of reasonable provocation or mutual combat; and (3) denying Defendant's motion for a new trial based on his claim of a closure of the court room during jury selection, as Defendant failed to meet his burden of showing there was a general or even a partial closure of the court room.
View "Commonwealth v. Lennon" on Justia Law
Rockland Trust Co. v. Attorney Gen.
The trustee of a trust established by Carol Vollmer (settlor) commenced this action in the probate and family court seeking reformation of the trust to comply with certain provisions of the Internal Revenue Code. A judge in that court reported the case to the appeals court, and the Supreme Court granted the trustee's application for direct appellate review. The Court then concluded that the trust should be reformed as requested, holding that reformation was warranted on this record because the proposed reformations would conform to the settlor's intent and would not be adverse to any person's or entity's interests under the trust instrument. View "Rockland Trust Co. v. Attorney Gen." on Justia Law
Posted in:
Massachusetts Supreme Court, Trusts & Estates
Commonwealth v. Delacruz
A jury convicted Defendant of murder in the first degree on the theories of deliberate premeditation and extreme atrocity or cruelty, and of possession of a firearm without a license. The Supreme Court affirmed the order denying Defendant's motions to suppress and affirmed the judgments of conviction, holding (1) the pretrial judge did not abuse his discretion in denying Defendant's request for a continuance so that he could change counsel; (2) the trial court did not abuse his discretion in declining to allow Defendant to discharge his appointed counsel; (3) the trial court did not err in denying Defendant's motions to suppress statements; (3) the trial judge did not err in his instructions to the jury; and (4) there was no basis on which to grant Defendant relief pursuant to Mass. Gen. Laws 278, 33E by reducing the murder verdict to a lesser degree of guilt or granting Defendant a new trial. View "Commonwealth v. Delacruz" on Justia Law
Aldrich v. Clerk-Magistrate
This matter arose from an application filed by Plaintiff in the Somerville division of the district court department for a criminal complaint against a police officer. The first assistant clerk of the court denied the application and referred the matter to the district attorney. A district court denied Plaintiff's request for a hearing to review the action. Plaintiff then filed a petition seeking an order compelling the clerk-magistrate of the district court to conduct a show cause hearing and issue a criminal complaint. The Supreme Court affirmed the judgment, holding that Plaintiff had no right to a show cause hearing on such an application and no right to have a criminal complaint authorized. View "Aldrich v. Clerk-Magistrate" on Justia Law
Posted in:
Criminal Law, Massachusetts Supreme Court
Hunter v. Rose
The Supreme Court granted an application for appellate review of Defendant, Miko Rose, to consider whether a judge in the probate and family court erred when she recognized Rose's California registered same-sex domestic partnership (RDP) with the plaintiff, Amy Hunter, as the equivalent of marriage in the Commonwealth, determined that both parties were the legal parents of the child each bore and, after dissolving the RDP, awarded physical custody of the two children as well as certain attorney's fees to Hunter. The Supreme Court affirmed, holding (1) because parties to California RDPs have rights and responsibilities identical to those of marriage, pursuant to the Court's recent decision in Elia-Warnken v. Elia, the judge did not err in treating the parties' RDP as equivalent to marriage in the Commonwealth; and (2) the judge did not abuse her discretion in awarding physical custody of the children and attorney's fees to Hunter. View "Hunter v. Rose" on Justia Law
Posted in:
Family Law, Massachusetts Supreme Court