Michigan v. Propp
Annotate this CaseDefendant Robert Propp was convicted by jury of first-degree premeditated murder. The victim, defendant’s ex-girlfriend and the mother of his child, was found dead in her own bed. Defendant, who had spent the night with the victim, gave the police several conflicting accounts of what had happened in the preceding hours; however, it was undisputed that the victim had died by neck compression. Before trial, defendant moved for funds to retain an expert in the area of erotic asphyxiation, claiming that the testimony was necessary to support his claim that the victim’s death was accidental. The court denied the motion, reasoning that the record did not support that theory. The prosecution then moved to introduce evidence of defendant’s prior acts of domestic violence against the victim as well as prior acts against his ex-wife; the majority of the evidence came in the form of statements the victim had made to friends and family members concerning her relationship with defendant. Defendant objected, arguing that the other-acts evidence was either inadmissible hearsay or more prejudicial than probative. The court granted the prosecution’s motion in its entirety, and the jury ultimately found defendant guilty as charged. The Court of Appeals affirmed defendant’s conviction. The Michigan Supreme Court determined the Court o Appeals erred by holding that defendant was required to make the additional showing necessary for affirmative defenses in order to be entitled to expert assistance and by holding that rules of evidence other than MRE 403 do not apply to other-acts evidence admitted under MCL 768.27b. Accordingly, the Supreme Court vacated the judgment of the Court of Appeals in part, reversed the judgment in part, and remanded to the Court of Appeals for further proceedings.
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