Pozo-Illas v. Commonwealth
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The Supreme Court affirmed Defendant's convictions of wanton murder and other crimes and his sentence of thirty years' imprisonment, holding that Defendant was not entitled to relief on his allegations of error.
Defendant was driving a 2006 Ford Mustang when he t-boned a golf cart that killed the golf cart's passenger. After a jury trial, Defendant was convicted of wanton murder, first-degree assault, wanton endangerment, operating a motor vehicle while under the influence of alcohol, and operating a motor vehicle without an operator's license. The Supreme Court affirmed, holding that the trial court did not err by (1) excluding evidence for lack of relevance as to additional signage placed in the cart path after the date of the collision; (2) failing to instruct the jury in accordance with its order taking judicial notice; (3) failing to conduct a Daubert hearing before denying Defendant's motion in limine to exclude the testimony of two experts; and (4) did not err by declining to instruct the jury on reckless homicide.
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