People v. Spencer, 28 N.Y.3d 302 (2016): Juror’s Inability to Render Impartial Verdict Justifies Removal

People v. Spencer, 28 N.Y.3d 302 (2016)

A trial court must discharge a juror as “grossly unqualified to serve” under CPL 270.35(1) if the juror’s statements make it obvious that they cannot render an impartial verdict based on the evidence and the law.

Summary

In a murder trial, a juror repeatedly stated during deliberations that she could not separate her emotions from the case and could not decide it based solely on the facts and the law. Despite the court’s efforts to encourage her to fulfill her duty, she remained resolute in her inability to be impartial. The trial court did not discharge the juror and, ultimately, the defendant was found guilty of manslaughter. The New York Court of Appeals reversed, holding that the trial court erred by failing to discharge the juror, as her statements made it obvious that she was grossly unqualified to serve. The court emphasized that a juror’s inability to follow the law, not just bias, could render them unfit.

Facts

Defendant was charged with murder. During deliberations, a juror informed the court that she could not separate her emotions from the case. The court questioned the juror, and the juror repeatedly stated she was unable to base her decision solely on the evidence and the law, despite trying her best. The juror stated “I don’t have it in me,” and “I can’t separate it anymore. I don’t know, I don’t know. I don’t have the capabilities to.” The trial court, after a *Buford* inquiry, declined to discharge the juror. The jury ultimately convicted defendant of manslaughter.

Procedural History

The trial court convicted the defendant of manslaughter. The Appellate Division affirmed. The dissenting Justice in the Appellate Division granted defendant leave to appeal to the New York Court of Appeals.

Issue(s)

1. Whether the trial court erred by not discharging a sworn juror who repeatedly stated during deliberations that she could not separate her emotions from the case and could not decide it based solely on the facts and the law.

Holding

1. Yes, because the juror’s statements made it obvious that she was grossly unqualified to serve, and the trial court was required to discharge her under CPL 270.35(1).

Court’s Reasoning

The court found that the juror’s statements demonstrated a clear inability to render an impartial verdict. The court explained that CPL 270.35(1) requires a trial court to discharge a juror who is “grossly unqualified to serve.” A juror is grossly unqualified “only ‘when it becomes obvious that a particular juror possesses a state of mind which would prevent the rendering of an impartial verdict.’” The Court emphasized that a trial judge has discretion in making the findings regarding a juror’s qualifications, but the ultimate determination is a legal one. The court distinguished the standard for removing a sworn juror, which requires a higher burden of proof that the juror is grossly unqualified, than the standard for excusing a prospective juror for cause. The court stated that a juror is “grossly unqualified to serve” where the “juror’s statements made it plain that she possess [ed] a state of mind which would prevent the rendering of an impartial verdict.” The Court held that it was “obvious the juror possessed a state of mind preventing her from rendering an impartial verdict.”

Practical Implications

This case reinforces the importance of a juror’s ability and willingness to follow the law and base their decision solely on the evidence. Attorneys must be prepared to challenge jurors who express an inability to do so. This case highlights a significant distinction: it’s not just bias that can disqualify a juror, but also an inability to separate emotion from the facts and the law. It emphasizes the trial court’s duty to ensure the fairness of the trial by removing unqualified jurors. Courts must conduct thorough inquiries (a Buford inquiry) to assess whether a juror is grossly unqualified to serve, and must err on the side of caution and impartiality when deciding whether to remove a juror. This case guides attorneys on when to move for a mistrial based on a juror’s inability to perform their duties.