Sanchez v. Montana
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Appellant Raul Sanchez appealed a district court order that denied his amended petition for postconviction relief. The issue on appeal was whether the court erred in doing so. Appellant admitted to shooting his girlfriend Alesha in 2004. He objected to the admission of a hearsay statement Alesha made in a handwritten note she addressed "to whom it may concern" and suggested that should tragedy befall her, that she suspected it was at the hands of Appellant. Appellant raised his objection as a violation of the Confrontation Clause. The Montana Supreme Court concluded that while the note constituted hearsay not subject to an exception, its admission was harmless error because the State presented other admissible evidence that proved the same facts. Furthermore. the Court concluded that Appellant forfeited his constitutional right to confront Alesha when he killed her. Appellant filed his application for postconviction relief alleging ineffective assistance of counsel for failing to appeal the Montana Supreme Court's confrontation decision to the United States Supreme Court. The district court denied Appellant's application for relief. Finding "overwhelming" evidence to support Appellant's conviction and that there was no error by his counsel for "failing" to appeal to the U.S. Supreme Court, the Montana Supreme Court affirmed the district court's denial of relief.
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