Commonwealth v. Holman
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The case revolves around Marcus Cleophus Holman, who was convicted for use of a firearm in the commission of a felony. Holman had initially pleaded guilty to this charge as part of a strategic move to avoid a conviction for aggravated malicious wounding. However, he later challenged the sufficiency of the evidence for the firearm charge. The Court of Appeals of Virginia reversed Holman's conviction, applying the "ends of justice" exception to Rule 5A:18 and stating that the approbate and reprobate doctrine did not apply.
The Commonwealth of Virginia appealed the decision of the Court of Appeals, arguing that the approbate and reprobate doctrine should apply. This doctrine prevents a litigant from taking inconsistent positions in the course of litigation. The Commonwealth argued that Holman had approbated by pleading guilty to the firearm charge and then reprobated by later challenging it.
The Supreme Court of Virginia agreed with the Commonwealth. It held that Holman had indeed approbated and reprobated on the charge of use of a firearm in the commission of a felony. The Court noted that Holman's decision not to contest the firearm charge was a clear trial strategy. Therefore, the Court reversed the judgment of the Court of Appeals and entered final judgment for the Commonwealth.
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