People v. Damon, 24 N.Y.2d 256 (1969)
A criminal conviction will be reversed when prosecutorial misconduct during summation creates a risk of prejudice, and when pre-trial identification procedures are so suggestive as to taint subsequent in-court identifications.
Summary
Richard Damon was convicted on multiple charges, including carnal abuse and burglary. The prosecution’s summation contained inflammatory remarks and improper attacks on the defense counsel. Additionally, the initial lineup procedure was unduly suggestive. The New York Court of Appeals reversed the conviction, holding that the prosecutorial misconduct risked prejudice and that the tainted lineup procedure potentially influenced the in-court identifications. The Court emphasized the need for a fair trial and the careful handling of identification evidence.
Facts
Two incidents occurred in Depew, New York: a man broke into a home and molested a nine-year-old girl on October 13, 1965, and a man attempted to enter a home where a fourteen-year-old girl was alone on October 16, 1965. In both instances, the perpetrator was seen leaving in a white Cadillac convertible. Damon, a 39-year-old bartender who drove a white Cadillac convertible, became a suspect. Three days after the second crime, Lieutenant Maccarone brought Damon to the police station. The two victims identified Damon in an informal lineup and a formal lineup. The younger girl’s father also identified Damon. Damon’s defense was mistaken identity, presenting alibi witnesses who placed him at work around the time of the second crime, and evidence making it impossible for him to have committed the first crime.
Procedural History
Damon was convicted of carnal abuse, assault, and burglary based on two indictments. He appealed, arguing prosecutorial misconduct and improper identification procedures. The appellate court considered these arguments and the totality of the circumstances of the trial.
Issue(s)
1. Whether the prosecutor’s summation was so inflammatory and prejudicial as to warrant a new trial.
2. Whether the lineup procedures used in this case violated the defendant’s due process rights.
3. Whether the trial court erred in directing the defense to supply the prosecution with prior statements of defense witnesses.
Holding
1. Yes, because the prosecutor’s improper comments and attacks on defense counsel during summation created a risk of prejudice to the jury.
2. Yes, because the informal lineup was unduly suggestive, potentially tainting the subsequent formal lineup and in-court identifications.
3. No, because the defendant is not being compelled to produce self-incriminating statements. The statements were those of witnesses offered by the defendant.
Court’s Reasoning
The Court found that the prosecutor’s summation included improper references to the heinous nature of the crimes, possible deviate behavior, and attacks on defense counsel. Even though objections were not made to all statements, sufficient protest was recorded to preserve the issue for review. The Court reasoned that in a case of this nature, which tends to arouse emotions, it could not be certain that the summation did not prejudice the jury. Referencing People v. Adams, 21 N.Y.2d 397, 401-402 and People v. Mleczko, 298 N.Y. 153, 163, the court emphasized the need to avoid any sense of insecurity regarding potential prejudice.
Regarding the lineup procedures, the Court determined that the initial informal lineup, where the victims viewed Damon through a mirror while he stood at the complaint desk, was “clearly improper, constituting little more than a showup” (citing People v. Brown, 20 N.Y.2d 238). Because of this, the subsequent formal lineup was deemed suspect. The Court directed that a hearing should be held outside the presence of the jury to determine whether the in-court identifications were tainted by the suggestive circumstances surrounding the informal lineup, and the People must demonstrate by clear and convincing evidence that the in-court identification was not the product of suggestive circumstances surrounding the ‘informal’ lineup.
Regarding discovery, the Court stated, “We have recognized the defendant’s right to obtain and inspect statements of prosecution witnesses for possible use in cross-examining them (see People v. Rosario, 9 Y 2d 286). There is neither reason nor justification for not allowing the Peoplg to procure from the defendant statements taken from his witnesses for the same purpose of cross-examining them.”