Oregon v. Hightower
Annotate this CaseIn the Oregon Supreme Court's first decision in this case (393 P3d 224 (2017) (Hightower I)), it determined the trial court had erred when it denied defendant’s midtrial request to dismiss counsel and represent himself based on a mistaken belief that it did not have the authority to grant such a request. The Supreme Court reversed and remanded the case to the trial court for “further proceedings.” On remand, the trial court did not order a new trial. The court instead stood by its prior denial of defendant’s midtrial request to self-represent because it stated that it would have reached the same conclusion - based on defendant’s trial disruptions - had it understood it had the discretion to do that. On appeal, defendant argued that the Supreme Court's decision to reverse and remand the initial case for “further proceedings,” without issuing specific limiting instructions, did not permit the trial court to simply provide an alternative explanation for its denial of the request for self-representation, without affording defendant a new trial. The Court of Appeals agreed that defendant was entitled to a new trial on remand and reversed. The State petitioned for review of that decision, and the Supreme Court allowed the petition. Because it agree with the Court of Appeals that defendant was entitled to a new trial on remand, the Supreme Court affirmed.
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