State v. Messenger
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The Supreme Court affirmed the judgment of the court of appeals ruling that the state's rebuttal of a defendant's claim of self-defense is not subject to review under the sufficiency-of-the-evidence standard, holding that the state's new burden of disproving the defendant's self-defense claim beyond a reasonable doubt is subject to a manifest-weight review on appeal.
After a jury trial, Defendant was convicted of murder and felony murder and sentenced to eighteen years to life in prison. On appeal, Defendant argued that the state had not presented legally sufficient evidence to establish that he had not acted in self-defense and that the state had failed to disprove self-defense under a "manifest weight" standard. The court of appeals rejected Defendant's claims and affirmed. The Supreme Court affirmed, holding (1) the 2018 Am.Sub.H.B. No. 228 amendments to Ohio Rev. Code 2901.05 did not eliminate Defendant's burden of production regarding a claim of self-defense; (2) the state's new burden of disproving a self-defense claim beyond a reasonable doubt is subject to a manifest-weight review on appeal; and (3) the court of appeals did not err in declining to review the state's rebuttal of self-defense for sufficiency of the evidence.
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