People v. Stewart
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Stewart was convicted of forcible rape, digital penetration and misdemeanor battery on his cousin, Doe 1, when she was 15 and he was 19 years old. He was sentenced to 13 years in state prison. Stewart argued the prosecution violated its “Brady” obligations by withholding a police report containing impeachment evidence concerning a key prosecution witness, Doe 2. After his trial ended, he received the impeachment evidence, a Child Protective Services report documenting Doe 2’s allegation of sexual abuse by a party other than Stewart, rather than the police report, from the juvenile court in response to filing a Welfare and Institutions Code section 827 petition.
The court of appeal reversed the conviction. While the prosecutor was not required to turn over the police report nor was the trial court required to review the report (or other juvenile records) in camera, the prosecutor’s disclosure of notes reflecting the existence of a police report did not satisfy its Brady obligation simply because Stewart could have sought the report from the juvenile court. The prosecutor could have satisfied its obligation by informing the defense that the police report contained Brady material but its disclosure did not indicate that was the case.
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