Opinion · Supreme Court of Missouri

State v. Westfall

75 S.W.3d 278

Type
Opinion
Court
Supreme Court of Missouri
Jurisdiction
Missouri
Date
2002-05-28
Topic
general

holding that a self-defense instruction must be given if substantial evidence is adduced to support it, even when that evidence is inconsistent with defendant’s testimony | holding "an instruction on self-defense must be given when substantial evidence is adduced to support it, even when that evidence is inconsistent with the defendant's testimony" | holding that, once the defendant “injected self-defense into the case,” the trial court was obligated to submit a correct self-defense instruction "in the absence of a request for such an instruction, and even if such an instruction was offered but not in proper form” | noting a reviewing court will only “reverse due to instructional error if there is error in submitting an instruction and prejudice to the defendant” (internal quotation omitted) | noting factual issue regarding whether deadly force was used is province of jury | “Even if no objection is made, the failure to instruct upon a defense supported by the evidence is plain error affecting substantial rights.” | the failure to give a required instruction is presumed prejudicial to the defendant unless the State clearly establishes otherwise (citation omitted) | “If the evidence tends to establish the defendant’s theory, or supports differing conclusions, the defendant is entitled to an instruction on it.” | “If the evidence tends to establish the defendant’s theory, or supports differing conclusions, the defendant is entitled to an instruction on it” | “The general rule is that an instruction must be based upon substantial evidence and the reasonable inferences therefrom.” | “Failure to provide the required instruction, or give it in accordance with an accompanying Note on Use, may have adversely influenced the jury and is reversible error.” | where the court held that failure to instruct on self-defense, after it was injected into the case, was plain error affecting substantial rights even though Appellant failed to properly preserve the error | where the court held that failure to instruct on self-defense, after it was injected into the case, was plain error affecting substantial rights even though Appellant failed to properly preserve the error | requiring a showing of prejudice to establish reversible instructional error | favorable evidence may be inconsistent with the defendant’s testimony | favorable evidence may be inconsistent with the defendant’s testimony

Citator

Cited by
34 opinions