Idaho v. Kralovec

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In 2014, Thomas Kralovec was arrested by Boise City Officer Tad Miller for public intoxication and resisting and obstructing arrest. While he was being transported to jail, Kralovec was antagonistic. He cursed, insulted, and threatened Officer Miller. Upon arrival at the jail, Kralovec was met by four deputies. Kralovec remained combative and non-compliant during the intake process. The four deputies took turns restraining Kralovec to search him and remove his handcuffs so that he could be left alone in the cell. The deputies placed Kralovec on a concrete bench in the cell in a prone position with his legs in a “figure four leg trap” with his face to the wall. At some point during the search, Kralovec’s right leg came free and kicked out, knocking a microphone loose from the clip on one deputy’s shirt and allegedly striking another in the shoulder. The incident was recorded by a camera in the holding cell. The State filed an information charging Kralovec with one count of battery on a peace officer, later amending it to charge Kralovec with battery on a correctional officer. State filed notice of its intent to introduce audio evidence of Kralovec’s arrest and transport to jail to show Kralovec’s knowledge and intent pursuant to Idaho Rule of Evidence 404(b). Kralovec objected, arguing that the evidence was either not relevant, or its probative value was substantially outweighed by its prejudicial effect. The district court concluded that the evidence was res gestae evidence temporally connected with the alleged battery and had a tendency to explain Kralovec’s alleged misbehavior during the booking process. The district court further concluded that the evidence was admissible under Idaho Rule of Evidence 404(b) as it was relevant to Kralovec’s intent. Kralovec was ultimately convicted on one count of battery on a correctional officer. On appeal, Kralovec argued: (1) the State failed to present constitutionally sufficient evidence upon which a reasonable trier of fact could have found that the State sustained its burden of proving the essential elements of the crime beyond a reasonable doubt; (2) the district court abused its discretion when it admitted audio evidence of Kralovec’s encounter with Officer Miller as res gestae and under Idaho Rule of Evidence 404(b); and (3) the sentencing judge abused his discretion by refusing to review the trial transcripts and exhibits prior to sentencing. Finding no error in the district court’s judgment of conviction, the Supreme Court affirmed. View "Idaho v. Kralovec" on Justia Law