EVERETT v. THE STATE
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Jerome Everett was convicted of felony murder and other crimes related to the shooting death of Keith Nelson. Everett appealed his conviction, arguing that the trial court erred by giving an incorrect jury instruction on justification and that his trial counsel provided ineffective assistance by failing to object to the State's use of his prior convictions as impeachment evidence.
The Supreme Court of Georgia found that even if the jury instruction was erroneous, it was a harmless error since the jury was highly unlikely to have believed the use of deadly force was justified. The court also found that Everett's claim of ineffective assistance of counsel failed because his trial counsel did object to the admission of evidence of Everett's prior convictions and thereby preserved the issue for appeal.
Therefore, the court affirmed the conviction. In the decision, the court noted that Everett's justification defense was significantly undermined by the evidence presented at trial, which included his admission to shooting Nelson, evidence of Everett's attempt to flee the crime scene, and the lack of gunshot residue on Everett’s hands, which supported the State's theory that Everett was wearing gloves when he shot Nelson.
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