People v. Gil
Opinion of the Court
—Judgment, Supreme Court, New York County (Harold Rothwax, J.), rendered May 26, 1995, convicting defendant, after a jury trial, of manslaughter in the second degree, and sentencing him to a term of 5 to 15 years, unanimously affirmed.
The court acted within its discretion in determining that the interpreter provided by the prosecution during defendant’s
We see nothing in the highly-publicized scheduling conflict between defense counsel’s appearances in the instant case and the O.J. Simpson trial, or its aftermath including its mention in a book written by the Trial Justice, that would entitle this defendant to a new trial. The court properly denied defendant’s request that it recuse itself. Defendant’s current claim that the court improperly withheld from the parties some personal interest in the case based upon an alleged book contract in effect at the time of trial is not reviewable on appeal because there is no record to support defendant’s various speculative claims, such as that such a contract was in effect at the time of trial and that the court somehow deliberately promoted a scheduling controversy so that the court might include reference to the scheduling problem in a book published many months after sentencing herein. We perceive no misconduct on the part of the court by mere reference in a subsequently published book to a scheduling conflict that was resolved prior to the start of the trial herein (see, People v Horton, 18 NY2d 355, 361, cert denied 387 US 934).
The court appropriately exercised its discretion in admitting a videotape of the crime scene, for the purpose of assisting the jurors in considering the issues before them (see, People v Mirenda, 23 NY2d 439, 453). The videotape clearly was not intended to be, nor was it offered as, a reenactment. The court’s repeated instructions to the jurors to disregard the positions of vehicles and individuals seen in the videotape as irrelevant to any issue before them, as well as the court’s reminder to the jurors that the video technician admittedly had used a zoom lens feature during certain portions of the film, assured that the jurors would not improperly consider the videotape to be a reenactment of any of the events in question, nor be improperly influenced regarding defendant’s position or view at the time in question. The court’s curative instructions were appropriate and presumably were understood and followed by the jury (People v Moore, 71 NY2d 684, 688). In addition, the court-directed crime scene visit further assured that the videotape would not be utilized for improper purposes.
The court also appropriately exercised its discretion in
We perceive no abuse of discretion in sentencing. Concur— Williams, J. P., Tom, Mazzarelli and Andrias, JJ.
Case-law data current through December 31, 2025. Source: CourtListener bulk data.