State v. Hartman
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The Supreme Court affirmed the judgment of the court of appeals reversing Defendant's convictions of two counts of rape, holding that the trial court erred by admitting "other acts" evidence that Defendant had sexually abused his stepdaughter when she was a child.
Defendant was convicted of raping an adult female acquaintance. During trial, the trial court allowed the State to present evidence that Defendant had victimized his former stepdaughter as a child. The court of appeals reversed Defendant's convictions, concluding that the evidence of Defendant's abuse of his stepdaughter constituted improper other-acts evidence and was inadmissible under Evid.R. 404(B). The Supreme Court affirmed, holding that the evidence of Defendant's other acts constituted improper propensity evidence, and the trial court erred in admitting it.
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