State v. Oliver
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The Supreme Court affirmed Defendant's convictions for partner or family members assault (PFMA), unauthorized use of a motor vehicle, and two counts of tampering with witnesses or informants but reversed the district court's imposition of various fees and costs on Defendant, holding that remand was required for an analysis of Defendant's ability to pay before imposing costs and fees.
Specifically, the Supreme Court held (1) the admission of certain hearsay statements was not harmless error; (2) Defendant's right to a fair trial by an impartial jury was not violated; (3) Defendant was not entitled to relief on his argument that his right to confrontation was violated by the repeated emphasis on recorded jail phone calls; (4) the record was insufficient to review Defendant's claim of ineffective assistance of trial counsel; and (5) the district court erred in imposing jury and other costs on Defendant without first undertaking an ability to pay inquiry.
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