State of Tennessee v. Jereme Dannuel Little
A Hamilton County grand jury charged the defendant, Jereme Dannuel Little, in case number 253372, with two counts of aggravated robbery, see T.C.A. § 39-13-402 (2006), and, in case number 253374, with one count of especially aggravated kidnapping, see id. § 39-13-305. At the close of proof at trial, the trial court granted the defendant’s motion for judgments of
acquittal on the two aggravated robbery counts. The jury, however, convicted the defendant of especially aggravated kidnapping, and the trial court imposed a sentence of 18 years’ incarceration in the Tennessee Department of Correction. On appeal, the defendant contends that the trial court erred by (1) failing to inform the jury regarding the judgments of acquittal of the aggravated robberies; (2) failing to instruct the jury regarding corroboration of accomplice testimony; (3) instructing the jury regarding criminal responsibility for the conduct of another; (4) prohibiting counsel from “putting into evidence or mentioning” during closing argument that the defendant had been acquitted of the two counts of aggravated robbery; and (5) allowing the district attorney to argue at closing that the defendant had committed the aggravated robbery offenses, as relevant to motive for the especially aggravated kidnapping charge. Additionally, the defendant contends that the cumulative effect of the trial court’s errors denied him a fair trial. Discerning no reversible error, we affirm the judgment of the trial court.