Hubbard v. State
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At issue in this criminal case was whether the defense must place intent or absence of mistake at issue before prior act evidence may be admitted under Nev. Rev. Stat. 48.045(2).
Defendant was convicted of conspiracy to commit robbery, burglary, robbery with use of a deadly weapon, and other crimes. During trial, the court admitted evidence concerning Defendant’s prior residential burglary conviction to prove intent and absence of mistake. The Supreme Court reversed the judgment of conviction, holding (1) the defense need not place intent or absence of mistake at issue before the State may seek admission of prior act evidence if the evidence is relevant to prove an element of the offense; but (2) because the evidence of Defendant’s prior residential burglary conviction had little relevance or probative value as to his intent or absence of mistake when compared to the danger of unfair prejudice resulting from its propensity inference, the district court manifestly abused its discretion in admitting the evidence, and the error was not harmless.
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