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Chancellor Bennett Case Summary

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Chancellor Bennett was wrongfully convicted of criminal sale of a controlled substance in the third degree for his alleged role as an accomplice to a street sale of drugs. The defendant must have intentionally aided the seller in furthering the transaction in order to be convicted as an accomplice to a drug sale. Chancellor Bennett was there at the transaction, but he had nothing to do with it. Chancellor Bennett just reiterated what UC 2525 had told him to the drug dealer, who shouted “what.” In order to be convicted as an accomplice you must help screen or negotiate the potential buyer, which Bennett never did. Furthermore, when searched by the police, Bennett didn’t have any drugs or pre-recorded money on him. Hence, the evidence presented at trial was legally insufficient to show that Bennett intentionally aided in the transaction. Chancellor Bennett’s conviction therefore should be reversed immediately. Prior to trial, …show more content…
It leads the American society, and protects our fundamental rights. Under the Sixth Amendment, a defendant is guaranteed a right to a public trial. See U.S. Const. amends. VI. In Waller, the U.S Supreme court mandated that closure cannot be sacrificed for something less than a substantial probability of prejudice. Waller v. Georgia, 467 U.S. 39 (1984). Conclusory assertions stating the general dangers associated with the vocation of an undercover officer, without connection to the instant case, violate the U.S Constitution. The accused shall not be denied his Sixth Amendment right to a public trial unless, the people establish a nexus between the Officer and the instant case. People v. Martinez, 82 N.Y.2d 436 (1993). A nexus does not exist unless the people sufficiently show that the officers safety and effectiveness are at risk, by establishing that the Officer will resume work in the same area, took extensive safety precautions or has encountered buy

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