Ortiz v. State
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Ramel Ortiz was convicted of six counts of sexual assault and other felonies after breaking into M.P.'s house and forcing her to engage in multiple sexual acts. Four of these sexual assault counts arose from an incident during which Ortiz subjected M.P. to intercourse in different sexual positions. Ortiz appealed his conviction, arguing that his appellate counsel provided ineffective assistance by failing to challenge the sufficiency of the evidence to support multiple sexual assault convictions.
Ortiz's case was first reviewed by the Eighth Judicial District Court, Clark County, which denied his postconviction petition for a writ of habeas corpus. Ortiz then appealed to the Supreme Court of the State of Nevada.
The Supreme Court of the State of Nevada found that appellate counsel's omission of a sufficiency challenge to the multiple convictions fell below an objective standard of reasonableness. The court concluded that because the sufficiency challenge stood a reasonable probability of success had it been raised on appeal from the judgment of conviction, Ortiz was prejudiced by appellate counsel's omission of that challenge. The court therefore reversed in part and remanded for the district court to vacate three of Ortiz's sexual assault convictions. However, the court affirmed the district court's decision as to Ortiz's remaining claims, which it found to lack merit.
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