People v. Morgan, 29 N.Y.3d 517 (2017)
A trial court’s supplemental instruction to a jury after it returns a non-unanimous verdict, directing the jury to resume deliberations, is permissible as long as it does not coerce the jury to reach a specific verdict.
Summary
The New York Court of Appeals considered whether a supplemental instruction, given by the trial court after the jury announced a verdict that was not unanimous, was coercive and violated the defendant’s right to a fair trial. The court held that the trial judge’s instruction, which informed the jury that their verdict must be unanimous and directed them to resume deliberations, was appropriate. The Court reasoned that the instruction did not pressure the jury to reach a specific verdict and that, because the jury deliberated for a full day after the instruction, it was not unduly coercive. The court also addressed the issue of the trial court’s refusal to read back the defense counsel’s summation, finding the issue unpreserved.
Facts
The defendant was charged with murder and other crimes. During deliberations, the jury indicated that it was deadlocked. After further instruction, the jury announced it had reached a verdict: guilty on some counts, not guilty on others. However, the subsequent polling of the jurors revealed that the verdict was not unanimous. The trial court then instructed the jurors to resume deliberations to reach a unanimous verdict. The jury deliberated for another day and ultimately returned a unanimous verdict of guilty on some counts. The defendant argued that the supplemental instruction was coercive and deprived him of a fair trial.
Procedural History
The trial court denied the defendant’s motion for a mistrial after the initial non-unanimous verdict and gave a supplemental instruction. The defendant was convicted and appealed. The Appellate Division affirmed the conviction, concluding the supplemental instruction was appropriate. The New York Court of Appeals then reviewed the Appellate Division’s decision.
Issue(s)
1. Whether the trial court’s supplemental instruction, after the jury returned a non-unanimous verdict, was coercive and violated the defendant’s right to a fair trial.
2. Whether the trial court erred in denying the jury’s request to rehear defense counsel’s summation during deliberations.
Holding
1. No, because the instruction was not coercive and did not violate the defendant’s right to a fair trial.
2. No, because the issue was not properly preserved.
Court’s Reasoning
The Court of Appeals applied the standard set forth in Criminal Procedure Law § 310.80, which mandates that if the jury’s verdict is not unanimous, the court must direct the jury to resume deliberations. The court cited People v. Aponte and People v. Pagan to distinguish between permissible and impermissible supplemental jury instructions. The court held that the trial court’s instruction in this case was proper because it did not pressure the jury to reach a particular verdict and it left open the possibility of principled disagreement among the jurors. The court noted that the instruction was not coercive, because it did not overemphasize the need to return a verdict, nor did it suggest the jury was failing in its duty. The absence of “cautionary language” was not considered fatal to the supplemental charge because such language had already been given to the jury two hours earlier.
Practical Implications
This case provides guidance on the permissible scope of supplemental instructions when a jury returns a non-unanimous verdict. Attorneys must be aware of the fine line between encouraging a jury to reach a verdict and coercing them. The court’s holding underscores that a supplemental instruction is permissible if it simply reminds the jury of the unanimity requirement and directs them to continue deliberations. The case also suggests that the content of prior instructions can be considered when evaluating the propriety of supplemental instructions. Moreover, the fact that the jury deliberated for a significant period after the instruction suggests that the court can avoid claims of coercion if the jury deliberates for a substantial amount of time after the instruction is given. Courts must consider the totality of the circumstances when assessing the impact of supplemental instructions on the jury’s deliberations.