New Hampshire v. Parry
Annotate this CaseDefendant Melanie Parry was convicted by jury of possessing a controlled drug. On appeal, she argued (1) the trial court erred by denying her requested jury instruction on the voluntary-act requirement set forth in RSA 626:1 (2016); and (2) the prosecutor's statement during closing argument that voluntariness was not an element of possession and was contrary to the law. After review, the New Hampshire Supreme Court affirmed, finding a voluntariness instruction was not necessary unless there was evidence suggesting the defendant's conduct was involuntary. Because no such evidence was presented here, defendant was not entitled to an instruction on RSA 626:1, and the prosecutor's statement was not contrary to the law.
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