United States v. Burgess, No. 22-7033 (10th Cir. 2024)
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The case involves Kendall Len Burgess, who was convicted for aggravated sexual abuse and abusive sexual contact involving a seven-year-old victim, P.G. The primary issue was whether the district court erred in admitting a fifty-minute video recording of a forensic interview with P.G., conducted three days after the last incident of alleged sexual abuse. The interview was admitted under the residual exception to the rule against hearsay, after P.G., then aged nine, testified inconsistently at trial about the acts committed by Burgess.
The United States District Court for the Eastern District of Oklahoma had convicted Burgess based on the evidence presented, including the video recording. The court found that P.G.’s statements during the recorded interview were trustworthy and more probative than any other evidence that could be obtained through reasonable efforts.
On appeal, the United States Court of Appeals for the Tenth Circuit affirmed the lower court's decision. The appellate court concluded that the district court did not abuse its discretion in admitting the recorded interview. The court also rejected Burgess's other arguments, including allegations of prosecutorial misconduct and cumulative error. The court held that the prosecutor's questions and closing argument did not warrant reversing Burgess's convictions. Therefore, the court affirmed both of Burgess's convictions.
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