Morse v. Delaware

by
The Supreme Court found no merit to defendant-appellant Melvin Morse’s arguments on appeal and affirmed his conviction by jury on child abuse charges. Defendant physically abused his step-daughter, A.M. The abuse spanned two years and consisted of, inter alia, suffocating and "waterboarding" A.M. as punishment for what he deemed to be misbehavior. On appeal, defendant argued: (1) the trial court abused its discretion by admitting evidence of other uncharged abusive acts against A.M. in violation of Delaware Rule of Evidence (“D.R.E.”) 403.6; and, (2) the trial court erred in allowing the jury to re-watch videotaped statements of A.M. and her younger sister, M.M., after the jury requested to view them during deliberations. In regard to defendant's second argument, the Supreme Court found that it was not an error to allow the jury to re-watch the statements, but used the occasion of this opinion to discuss a jury’s request to rehear a section 3507 statement during deliberations. A request to rehear such a statement is an exception to the general rule, and applies when the jury requests to rehear a section 3507 statement of its own accord. "This exception was created with the understanding that the request would be spontaneous in nature, not made at the encouragement of counsel. As the State admitted at oral argument before this Court, this action is not 'best practice,' and it should not be repeated in the future. Attorneys should not direct the jury to make requests to the trial judge to review testimonial evidence that is otherwise not permitted during deliberations." View "Morse v. Delaware" on Justia Law