Pennsylvania v. Hamlett (majority)
Annotate this CaseIn 2016, Appellant James Hamlett, Jr. was convicted of numerous crimes deriving from a sexual assault upon a minor, and lengthy concurrent terms of incarceration were imposed at sentencing. On appeal, the superior court found that the trial court had erred in admitting a video of a forensic interview of the victim into evidence. Nevertheless, the intermediate court invoked the harmless-error doctrine to deny Appellant’s request for a new trial, reasoning that the video was merely cumulative of properly-admitted evidence in the form of the victim's testimony. The Commonwealth hadn't argued harmlessness. Nonetheless, the superior court invoked the precept that an appellate court could affirm a valid verdict based on any reason appearing in the record, regardless of whether the rationale was raised by the appellee. The Pennsylvania Supreme Court granted review to determine whether it should prohibit Pennsylvania appellate courts from exercising their discretion to apply the harmless-error doctrine when deemed warranted, in criminal cases where advocacy from the Commonwealth on the subject was lacking. Appellant's core position on appeal was that the practice of appellate courts exercising their discretion like this should have been disapproved and discarded: that application of the right-for-any-reason doctrine to support sua sponte harmless-error review inappropriately relieved the government from meeting its burden of proof of harmlessness, upon an appellate court's discernment of trial error. To this, the Supreme Court disagreed, affirming the superior court judgment.
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