State v. Gibson
Annotate this CaseDefendant Gary Gibson was convicted, after a jury trial, of failure to appear in the first degree. The appellate court reversed the conviction on the ground that improper statements by the prosecutor during closing argument had deprived Defendant of his constitutional due process right to a fair trial. The Supreme Court reversed in part, holding that the trial prosecutor's two uses of the words 'I think' while marshaling the evidence during closing argument did not constitute an improper expression of personal opinion and therefore did not amount to prosecutorial impropriety. Remanded with direction to affirm the judgment of conviction on the charge of failure to appear.
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