Shields v. Commonwealth
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The Supreme Court affirmed Defendant's conviction of first-degree manslaughter and to being a persistent felony offender in the first degree, holding that the trial court did not abuse its discretion by denying Defendant's motion to exclude a deceased eyewitness's preliminary hearing testimony.
At issue on appeal was whether the testimony of a witness taken at a preliminary hearing could be used at Defendant's trial where the witness became unavailable due to her death. The trial court denied Defendant's motion to exclude the preliminary hearing testimony, concluding that, under the circumstances, Defendant was not denied a meaningful opportunity to cross-examine the witness and that the testimony had the hallmarks of reliability. The Supreme Court affirmed, holding that the circuit court did not abuse its discretion when it denied Defendant's motion to exclude the preliminary hearing testimony from trial.
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