MURDER, POLITICS, AND THE END OF THE JAZZ AGE
by Michael Wolraich
Order today at Barnes & Noble / Amazon / Books-A-Million / Bookshop
MURDER, POLITICS, AND THE END OF THE JAZZ AGE by Michael Wolraich Order today at Barnes & Noble / Amazon / Books-A-Million / Bookshop |
So, not only did we get poisoned, now we have to pay attorney fees for our millionaire governor? How jacked up is that?
Eugene Driker, a civil defense attorney, and Brian Lennon, a criminal defense attorney, were each awarded a contract worth $249,000 through Dec. 31, after which those contracts can be extended, Snyder spokesman Ari Adler told the Free Press.
The contracts, which are to be paid with state funds, are just below the $250,000 threshold for contracts requiring approval from the State Administrative Board, which meets in public to approve state contracts and grants.
The bold is mine.
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Criminal Law, v. 1.0
by Lisa M. Storm
9.5 Second-Degree Murder
LEARNING OBJECTIVES
States that classify murder as either first or second degree often define second-degree murder as any murder that is not first-degree murder. [1] This definition excludes murders that are premeditated or committed with a specified means. It includesimplied malice murder, such as murder committed with the intent to inflict serious bodily injury and depraved heart murder.
Depraved Heart Murder
Some statutes use the Model Penal Code’s language and define second-degree murder as a killing executed recklessly, under circumstances manifesting extreme indifference to the value of human life. [2] This definition embodies the concept, discussed previously, of murders committed with a depraved or abandoned and malignant heart. The facts that give rise to this type of second-degree murder often indicate the mens rea ofrecklessness, rather than purposeful or knowing intent or express malice. Whether the killing is a second-degree murder or manslaughter is left to the trier of fact and often rests on thedegree of recklessness exhibited. If the defendant’s conduct indicates extreme indifference to life, the killing is a depraved heart murder. If the defendant’s conduct is simply reckless, the killing is manslaughter. As the Model Penal Code states in its comments, “[w]hether recklessness is so extreme that it demonstrates similar indifference is not a question, it is submitted, that can be further clarified. It must be left directly to the trier of fact under instructions which make it clear that recklessness that can fairly be assimilated to purpose or knowledge should be treated as murder and that less extreme recklessness should be punished as manslaughter” (A.L.I., Model Penal Code & Commentaries Part II § 210.2, Comment. 4, pp. 21–22 (1980)).
Example of a Depraved Heart Murder
After watching his fifth-grade daughter play softball, Doug attends a party with her team and other parents at the local pizza parlor. Doug’s daughter leaves the party with her mother, Doug’s ex-wife. Doug consumes ten beers and then leaves the party and smokes some crack cocaine in his vehicle. He thereafter begins driving home. As he is driving in a busy section of town, he hears his phone beep, indicating the receipt of a text message. He grabs his phone and starts reading the text. This lapse of attention causes him to run a red light and broadside a vehicle turning left in front of him, killing a child sitting in the passenger seat. Doug puts his vehicle in reverse, drives around the car he hit, and leaves the scene of the accident. These facts could give rise to a conviction for depraved heart second-degree murder. Although Doug did not act with specific intent to kill, his conduct in driving while under the influence of alcohol and crack cocaine, reading a text message while driving impaired in a busy part of town, and leaving the scene of an accident most likely elevate Doug’s intent from ordinary recklessness to recklessness indicating extreme indifference to the value of human life. Thus the trier of fact could find Doug guilty of murder rather than manslaughter in this case.
Figure 9.6 Diagram of Second-Degree Murder
Second-Degree Murder Grading
Most jurisdictions grade second-degree murder lower than first-degree murder and include less serious sentencing options. [3]Most jurisdictions grade second-degree murder higher than manslaughter because it has a more heinous criminal intent. [4]Manslaughter is discussed shortly.
KEY TAKEAWAYS
EXERCISES
Answer the following questions. Check your answers using the answer key at the end of the chapter.
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[1] Mich. Comp. Laws § 750.317, accessed February 24, 2010,http://www.legislature.mi.gov/(S(gjc5ys55et3ukfj0uq5uehqm))/mileg.aspx?page=GetObject&objectname=mcl-750-317.
[2] K.S.A. § 21-3402, accessed September 21, 2010,http://kansasstatutes.lesterama.org/Chapter_21/Article_34/21-3402.html.
[3] N.R.S. § 200.030, accessed February 13, 2011,http://law.onecle.com/nevada/crimes/200.030.html.
[4] N.R.S. § 200.080, accessed February 13, 2011,http://law.onecle.com/nevada/crimes/200.080.html.
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by jollyroger on Mon, 03/07/2016 - 12:20am
See above
I do not share counsel's confidence that no criminal jeopardy attaches to the Governor by his (in) actions
by jollyroger on Mon, 03/07/2016 - 12:23am
I could see charges being filed against the regulatory or administrative people who made the decision not to treat Flint River water for corrosion that caused the lead leaching and exposure but the bureaucratic, political and personal inaction and inability to respond properly to the crisis seems too vague and widespread, including the EPA, to prosecute.
by Peter (not verified) on Mon, 03/07/2016 - 12:56am
Yeah, prolly.
I have just loved the phrase " abandoned and malignant heart" ever since law school and couldn't resist a chance to quote it.
Its so king james.
by jollyroger on Mon, 03/07/2016 - 1:37am