State v. Burris
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Carol Sue Burris was convicted of mistreatment of a dependent adult and the second-degree reckless murder of her husband, Michael Burris, who suffered from dementia and other significant health issues. Carol, as Michael's sole caregiver, was found to have neglected his care and prevented others from helping him. Michael subsequently died of pneumonia with severe emaciation as a significant underlying factor.
Carol appealed her conviction, arguing that her conviction for reckless but unintentional second-degree murder should be reversed, as it was based solely on a failure of care—that is, on things she did not do rather than affirmative acts she did. Her argument was premised on the idea that she had no duty to act—to provide the care at issue—under these facts.
The Supreme Court of the State of Kansas affirmed the lower court's decision, stating that Carol owed a clearly defined legal duty of care to her husband, based on their marital relationship, her voluntary assumption of Michael's care, and her role as Michael's sole caregiver under K.S.A. 2022 Supp. 21-5417. The prosecutor's comments during closing arguments were found not to be in error, and thus, Carol's convictions were upheld.
The court held that a person may be held criminally liable for a failure to act if that person owes a legal duty of care, which can arise out of either common law or legislative enactment. A legal duty of care is imposed at common law when a person is in a special relationship with another, such as marriage, or when a person has voluntarily assumed the care of another and has prevented others from rendering aid. K.S.A. 2022 Supp. 21-5417 imposes a legal duty of care on the primary caregivers of dependent adults.
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