Oregon v. Williams
Annotate this CaseDefendant Olan Williams was charged with two counts of first-degree sodomy. The jury was instructed that it could return a nonunanimous guilty verdict. Defendant did not object. The jury acquitted defendant of one count and convicted him of the other. The trial court polled the jury, revealing that the guilty verdict was nonunanimous. The trial court received both verdicts without objection by defendant. After defendant was sentenced, he moved for a new trial, challenging Oregon’s nonunanimous jury law, as applied to him, on Equal Protection Clause grounds. In Ramos v. Louisiana, 140 S Ct 1390 (2020), the United States Supreme Court held that, contrary to longstanding practice in Oregon, the United States Constitution required “[a] jury must reach a unanimous verdict in order to convict.” Many Oregon convictions based on nonunanimous verdicts were on appeal in a variety of procedural postures. In this case, the state conceded that, notwithstanding problems with defendant’s presentation of the issue to the trial court and to the Court of Appeals, the Oregon Supreme Court should have reversed defendant’s conviction, so long as it exercised its discretion to consider the error. The Oregon Supreme Court exercised its discretion to consider the error and accepted the state’s concession. The petition for review was allowed, limited to the issue of the appropriate disposition of this case in light of Ramos v. Louisiana. The decision of the Court of Appeals was reversed. The judgment of the circuit court was also reversed, and the case was remanded to the circuit court for further proceedings.