New Hampshire v. Perry
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Defendant Barion Perry appealed after a jury convicted him of theft and burglary. He argued that the superior court erred in denying the indictments against him on double jeopardy grounds. Detectives interviewed defendant following his arrest. The interview was recorded. Prior to defendant’s first trial, counsel for defendant and the State agreed that certain statements made by defendant during the interview should be redacted before the recording was played for the jury. Shortly after the State played a redacted version of the recording, defense counsel advised the trial court that three of the statements that should have been redacted were not, in fact, redacted. Defense counsel requested neither a mistrial nor a curative instruction. Because the court was concerned that defense counsel could not effectively advise the defendant about a mistrial as counsel had failed to “mark” two of the statements for redaction prior to trial, it considered assigning independent counsel to speak with the defendant about the mistrial request. The court ultimately concluded, however, that manifest necessity required a mistrial because the jury heard "damaging," "inflammatory" information that a curative instruction would not have been able to address adequately. The court did not assign independent counsel because it concluded that, given the prejudicial nature of the unredacted statements, it "could be ineffective assistance of counsel" for another lawyer to advise the defendant not to seek a mistrial. The trial court declared a mistrial over the defendant’s objection and scheduled a new trial. Prior to the second trial, the defendant moved to dismiss the indictments with prejudice. He argued that the mistrial was not supported by manifest necessity, and, therefore, that the double jeopardy provisions of the New Hampshire and United States Constitutions barred retrial. The Supreme Court concluded that the trial court sustainably exercised its discretion in finding that manifest necessity required a mistrial. Consequently, the mistrial declaration did not bar the defendant’s retrial on double jeopardy grounds.
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