State v. Thompson
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David Thompson was convicted of fourth-degree domestic assault and violating an order of protection. He appealed, arguing that the circuit court made three errors: (1) denying his motion to dismiss due to lack of counsel at his preliminary hearing, (2) rejecting his proposed lesser-included offense instruction for fourth-degree domestic assault, and (3) submitting a corrective instruction after the jury announced its verdicts.
Thompson was charged with felony domestic assault for hitting his ex-boyfriend with a vehicle, violating a protective order. At his preliminary hearing, Thompson was unrepresented, and the associate circuit division found probable cause to proceed to trial. Thompson later moved to dismiss, claiming his right to counsel was violated, but the circuit court denied the motion. At trial, the jury was instructed on third-degree domestic assault and a lesser-included offense of fourth-degree domestic assault. The jury found Thompson not guilty of third-degree domestic assault but guilty of the lesser charge and violating the protective order. After the verdicts, the court discovered inconsistent verdicts for Count I and issued a corrective instruction, leading the jury to clarify its guilty verdict for fourth-degree domestic assault.
The Supreme Court of Missouri reviewed the case. It held that Thompson's right to counsel was not violated because he had ample opportunity to retain counsel but failed to do so. The court also found no error in the circuit court's rejection of Thompson's proposed instruction, as the given instruction was appropriate and there was no rational basis for the jury to acquit him of the charged offense while convicting him of the lesser-included offense. Lastly, the court ruled that the corrective instruction was proper and did not prejudice Thompson, as the jury had not been discharged and the court acted within its authority to resolve the inconsistency.
The Supreme Court of Missouri affirmed the circuit court's judgment.
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