Khan v. Alaska
Annotate this CasePetitioner Izaz Khan was indicted on one count of perjury based on four allegedly false statements made in a financial affidavit. At trial, the court instructed the jury, without objection from Petitioner, that they did not need to be unanimous regarding which statements were false. The jury convicted Petitioner. The court of appeals affirmed, concluding that even assuming the instruction was erroneous, the error would not rise to the level of plain error. The court of appeals reasoned that any error was not prejudicial because Petitioner had presented a single defense that applied to all four statements. Petitioner filed a petition for hearing, which the Supreme Court granted on the following questions: "(1) whether a unanimous jury verdict is a right under the Alaska Constitution, and (2) if so, the appropriate plain error analysis for reviewing the effect of a contrary jury instruction given without any objection by the defendant." The parties disagreed about the proper plain error analysis for constitutional errors. Last year, in a case decided after the Court granted this petition, it clarified its constitutional plain error analysis in "Adams v. Alaska." Petitioner argued that the Court should depart from "Adam"s to adopt the analysis of the Supreme Court of Hawai'i in "Nichols v. Hawai'i" in analyzing erroneous jury instructions. The State argued that the Court should have departed from "Adams" and adopt the federal plain error standard from the United States Supreme Court's decision in "United States v. Olano." The Alaska Supreme Court declined both parties' invitations to reconsider "Adams," and reaffirmed its decision in that case. Because the court of appeals did not apply the correct standard for constitutional plain error, the Court remanded this case for a determination whether, if the challenged jury instruction was erroneous, reversal was required under the proper plain error analysis.
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