Georgia v. Atkins
Annotate this CaseDenzel Atkins was charged with murder in connection with the shooting death of Elijah Wallace in December 2015. The State filed a pretrial notice of its intent to introduce other acts evidence under OCGA 24-4-404(b). After concluding that the other acts evidence met the criteria for admissibility under the Rule 404(b) test, the trial court nevertheless excluded some of the evidence about a 2013 murder; it allowed other evidence that connected Atkins to the 2013 murder victim, including evidence that Atkins was involved in the victim’s kidnapping. The trial court stated that it excluded evidence of the 2013 murder “out of an abundance of caution.” The State appealed that ruling, arguing the trial court lacked a legal basis to exclude the evidence since the Rule 404(b) test was satisfied. The Georgia Supreme Court found the trial court did not confine its analysis to the purposes for which the State sought to introduce the evidence, it applied a standard the Court disapproved for determining whether sufficient proof existed to establish that Atkins committed the 2013 murder, and its reason for excluding the evidence: “an abundance of caution” was not a permissible basis upon which the court may exclude evidence that is otherwise admissible under Rule 404(b). The Court therefore vacated the trial court’s order and remanded for further proceedings.
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