Gibbs v. State

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Justia Opinion Summary

This case involves an appeal from a judgment of conviction for second-degree murder with the use of a deadly weapon. The appellant, Jamel Gibbs, was convicted following a trial during which a recorded phone call between him and a defense investigator was admitted as evidence. Gibbs was in pretrial detention at the time of the call, which was made on a recorded line using another inmate's phone access code and a three-way calling system.

Gibbs argued that the recorded phone call was protected by attorney-client privilege and should not have been admitted into evidence. The district court ruled against him, reasoning that the conversation was not privileged because Gibbs violated jail policy by using another inmate's phone access code and making a three-way call.

On appeal, the Supreme Court of the State of Nevada disagreed with the district court's ruling. The court held that a defendant’s call to a defense investigator, even if made through a three-way call, does not, on its own, amount to a waiver of the attorney-client privilege unless it can be shown that the third party remained present during the conversation. The court also found that violating jail telephone policies does not automatically result in a waiver of the attorney-client privilege. As such, the district court erred in admitting the recorded phone call into evidence.

Furthermore, the Supreme Court concluded that this error was not harmless beyond a reasonable doubt, as the recorded phone call directly undermined Gibbs's planned defense strategy and necessitated a change in strategy at the start of trial. Therefore, the judgment of conviction was reversed and the case was remanded for a new trial.

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