Commonwealth v. Roark
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The Supreme Court reversed the decision of the court of appeals reversing Defendant's conviction and sentence and ordering a new trial, holding that the trial court did not abuse its discretion in finding that a proposed witness was not unavailable pursuant to Ky. R. Evid. 804(a)(5).
Defendant was convicted of manufacturing methamphetamine and other offenses and was sentenced to ten years' imprisonment. The court of appeals reversed, concluding that the trial court erred in finding that the witness at issue did not qualify as an unavailable witness under Rule 804(a)(5). The Supreme Court reversed and reinstated Defendant's conviction, holding that Defendant did not satisfy his burden of demonstrating that good faith efforts were made to procure the witness' presence at trial either by process or other reasonable means, and therefore, the trial court did not err in determining that the witness was available for trial.
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