New Mexico v. Marquez
Annotate this CaseThe Supreme Court addressed whether shooting at or from a motor vehicle could serve as a predicate for felony murder. A jury found Defendant Eric Marquez guilty of first-degree felony murder, and shooting from a motor vehicle causing great bodily harm. The underlying felony supporting Defendant’s felony murder conviction was the felony of shooting from a motor vehicle. To avoid double jeopardy concerns, the district court vacated Defendant’s conviction of shooting from a motor vehicle, then sentenced Defendant to a term of life imprisonment followed by a minimum period of five years of parole supervision. In his direct appeal, Defendant claimed that: (1) shooting at a motor vehicle cannot serve as a predicate felony in the context of a felony murder conviction; (2) the court erred in precluding evidence of drive-by shootings at Defendant’s home before 2010; (3) the jury instructions on felony murder and self-defense failed to instruct on the essential elements that Defendant did not act in self-defense or with sufficient provocation; and (4) admission of the Medical Investigator’s testimony violated Defendant’s confrontation rights. After review, the Supreme Court held that the crime of shooting at or from a motor vehicle may not serve as the predicate felony in support of a felony murder charge and vacated Defendant’s felony murder conviction. The Court rejected Defendant’s second, third, and fourth claims, and remanded this case back to the district court for entry of an amended judgment reinstating his conviction for shooting from a motor vehicle.
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