State v. Good Bear
Annotate this CaseThe North Dakota Supreme Court affirmed a lower court decision finding Erica Good Bear guilty of terrorizing, a class C felony. Good Bear appealed the judgment, arguing that there was insufficient evidence to warrant a conviction, improper admission of hearsay evidence, and denial of her right to confront a witness. The alleged hearsay evidence was two statements made by the victim's four-year-old child, both of which were recounted by other witnesses. The first statement was recounted by the victim, and the second was recounted by the responding police officer. The court concluded that both statements fell under the "excited utterance" exception to the hearsay rule, making them admissible. The court also found that the second statement did not violate Good Bear's right to confront her accuser, as it was not considered "testimonial" under the Sixth Amendment. The court determined that sufficient evidence supported the jury's verdict of guilty on the terrorizing charge.
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