Kelly v. State
Kelly v. State
Opinion of the Court
OPINION.
Clifford Kelly was convicted of two counts of assault in the fourth degree in violation of AS 11.41.280(a). Kelly assaulted his wife, Cheryl Kelly, and thereafter assaulted the state trooper responding to Cheryl Kelly’s complaints. He argues one issue on appeal: that he was denied a jury that represents a fair cross-section of the community, in violation of the state
The trial court heard Kelly’s offer of proof and concluded that Kelly had failed to meet his burden of proving the exclusion of a cognizable group. Specifically, the trial court concluded that Russian Orthodox parishes existed in both Kenai and Ninilchik, and were served by the same priest. The court held that defendant had failed to prove that whatever common attitudes, ideas, or experience which members of the Russian Orthodox church have would not be adequately represented by Kenai members of the church. On appeal defendant challenges this finding, contending that a majority of the members of the Kenai Russian Orthodox church are Alaska Natives while those in Ninilchik are Caucasians of Russian descent. The supreme court in Tugatuk v. State, set out the following definition for a cognizable group:
A group to be ‘cognizable’ for present purposes must have a definite composition. That is, there must be some factor which defines and limits the group. A cognizable group is not one whose membership shifts from day to day or whose members can be arbitrarily selected. Secondly, the group must have cohesion. There must be a common thread which runs through the group, a basic similarity in attitudes or ideas or experience which is present in members of the group and which cannot be adequately represented if the group is excluded from the jury selection process. Finally, there must be a possibility that exclusion of the group will result in partiality or bias on the part of juries hearing cases in which group members are involved. That is, the group must have a community of interest which cannot be adequately protected by the rest of the populace.
626 P.2d at 100 n.7 (quoting Hampton v. State, 569 P.2d 138, 148 (Alaska 1977)). Kelly carried the burden of demonstrating that there were significant differences between the members of the Russian Orthodox parish in Ninilchik and the members of that church in Kenai, or Kenai residents in general, which would be germane to the assault charges under consideration; and which would prevent the Kenai members of the church from adequately representing the “community interest,” whatever it might be, which defendant contends establishes members of the Russian Orthodox Church as a “cognizable group.” Since Kelly offered no evidence regarding the attitudes, ideas, experiences, or beliefs of members of the group in question, we hold that Kelly’s offer of proof was therefore insufficient to sustain his burden.
The judgment of the district court is AFFIRMED.
. Alaska Const, art. 1, § 11.
. U.S. Const, amend. VI.
Reference
- Full Case Name
- Clifford KELLY v. STATE of Alaska
- Cited By
- 2 cases
- Status
- Published