State v. LaFlamme
LaFlamme
Citation
341 Or. App. 360
Court
Court of Appeals of Oregon
Decided
June 18, 2025
Jurisdiction
SA
Importance
46%
Practice Areas
Case Summary
360 June 18, 2025 No. 548 This is a nonprecedential memorandum opinion pursuant to ORAP 10.30 and may not be cited except as provided in ORAP 10.30(1). IN THE COURT OF APPEALS OF THE STATE OF OREGON STATE OF OREGON, Plaintiff-Respondent, v. NATHANIEL FOREST LaFLAMME, Defendant-Appellant. Marion County Circuit Court 22CR29404; A180399 Tracy A. Prall, Judge. Submitted November 25, 2024. Ernest G. Lannet, Chief Defender, Criminal Appellate Section, and Shawn Wiley, Deputy Public Defender, Oregon Public Defense Commission, filed the brief for appellant. Ellen F. Rosenblum, Attorney General, Benjamin Gutman, Solicitor General, E. Nani Apo, Assistant Attorney General, and Lani Augustine, Certified Law Student, filed the brief for respondent. Before Ortega, Presiding Judge, Lagesen, Chief Judge, and Hellman, Judge.* LAGESEN, C. J. Affirmed. ____________ * Lagesen, Chief Judge vice Mooney, Senior Judge. Nonprecedential Memo Op: 341 Or App 360 (2025) 361 LAGESEN, C. J. Defendant appeals a judgment of conviction for, among other things, one count of second-degree assault, in violation ORS 163.175. The state charged that defendant com- mitted that offense by “knowingly caus[ing] physical injury to [the victim] by means of a dangerous weapon, to-wit: a boot.” On appeal, defendant raises two unpreserved assignments of error, contending that the trial court erred by (1) failing to acquit him of second-degree assault on its own motion on the ground that the evidence was insufficient to show that his footwear was a dangerous weapon; and (2) failing to instruct the jury that it had to find that defendant knew that his foot- wear had the characteristics of a dangerous weapon. Because those assigned errors are unpreserved, defendant requests that we review for plain error and exercise our discretion to correct those ostensible plain errors. We affirm. An unpreserved assignment of error is subject to review and potential correction pursuant to plain-error review if the alleged error is “obvious and not reasonably in dispute.” State v. Perez, 373 Or 591, 604, 568 P3d 940 (2025). We start by assessing defendant’s first contention, that the trial court plainly erred by failing to determine, on its own motion, that the evidence was insufficient to support a finding that defendant’s shoe was a dangerous weapon. To prove that defendant’s boot was a “dangerous weapon,” the state had to present evidence that under the circumstances in which defendant’s boot was used (stomping on the victim’s eye after pushing her to the ground), defendant’s footwear was “readily capable of causing death or serious physical injury.” ORS 161.015(1). The victim testified that defen- dant’s shoe was a Romeo work shoe: “It’s a Romeo. It’s a type of work shoe in the line of—like you’d call it country-looking wear.” The victim further testified that the boot was “pretty decent” in terms of heaviness. Finally, the victim testified that she could not open her eyes for a couple of days, that the doctor had to pry her eye open, and that her eye took a cou- ple of months to heal. Given that evidence about the nature of defendant’s shoe and the extent of injury inflicted, it is not obvious to us that the evidence about defendant’s footwear was insufficient to permit a finding that defendant’s shoe 362 State v. LaFlamme was readily capable of causing serious physical injury under the circumstances in which defendant used it. In arguing to the contrary, defendant emphasizes State v. Werder, 112 Or App 179, 828 P2d 474 (1992), in which we concluded that the evidence was insufficient to permit a finding that the defendant’s tennis shoes were used as a dangerous weapon when the defendant kicked the victim. Defendant urges us to conclude that the facts in this case are so closely aligned to those in Werder that it is neces- sarily obvious that, as in Werder, the evidence is not suffi- cient to permit a finding that the shoe was readily capable of causing serious physical injury under the circumstances in which defendant used it. In Werder, however, there was “no description of [the] tennis shoe in evidence.” Id. at 182. Here, the record offers more about the character of the shoe: a decently heavy Romeo-style work shoe.1 Given that differ- ence between the record in this case and the one in Werder, it is not obvious that Werder compels the conclusion that the evidence here is insufficient to support a finding that defendant’s shoe was a dangerous weapon under the circum- stances in which he used it. With respect to defendant’s second assignment of error, the state concedes that the trial court
Case Details
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Status
Decided
Date Decided
June 18, 2025
Jurisdiction
SA
Court Type
federal
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Case Summary
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Case Overview
Case Name: State v. LaFlamme
Citation: 341 Or. App. 360
Court: Court of Appeals of Oregon
Date: June 18, 2025
Jurisdiction: SA
In the case of State v. LaFlamme, the defendant, Nathaniel Forest LaFlamme, appealed a judgment of conviction for second-degree assault, alleging errors in the trial court's handling of evidence regarding the use of his footwear as a dangerous weapon.
Key Legal Issues
The appeal raised two significant legal issues:
- Whether the trial court erred by not acquitting LaFlamme based on insufficient evidence that his footwear constituted a dangerous weapon.
- Whether the jury should have been instructed that they needed to find LaFlamme knew his footwear had the characteristics of a dangerous weapon.
Court's Decision
The Court of Appeals of Oregon affirmed the trial court's decision, concluding that the evidence presented was sufficient to support the conviction for second-degree assault. The court also acknowledged a plain error regarding jury instructions but opted not to correct it.
Legal Reasoning
Assessment of Dangerous Weapon
To establish that LaFlamme's boot was a dangerous weapon, the state needed to demonstrate that it was capable of causing serious physical injury under the circumstances of its use. The court considered the following evidence:
- The victim described LaFlamme's footwear as a Romeo work shoe, characterized by its weight and design.
- Testimony indicated that the victim suffered significant injuries, including prolonged inability to open her eye and a lengthy healing process.
The court distinguished this case from State v. Werder, where the evidence regarding the defendant's footwear was insufficient. Unlike Werder, the current case provided a detailed description of the shoe's characteristics, leading the court to conclude that it was not obvious that the evidence was insufficient.
Jury Instruction Error
The court acknowledged that the trial court erred by failing to instruct the jury on the culpable mental state required for the dangerous weapon element. However, the state argued that correcting this error was unnecessary because it was unlikely that a properly instructed jury would have found reasonable doubt regarding LaFlamme's knowledge of the weapon's capabilities.
Key Holdings
- The evidence was sufficient to support the finding that LaFlamme's footwear was a dangerous weapon.
- The trial court's failure to instruct the jury on the mental state requirement was a plain error, but the appellate court chose not to correct it.
Precedents and Citations
- State v. Werder, 112 Or App 179, 828 P2d 474 (1992) - A case referenced for comparison regarding the definition of dangerous weapons.
- State v. Perez, 373 Or 591, 604, 568 P3d 940 (2025) - Cited for the standard of plain error review.
Practical Implications
This case underscores the importance of evidence in establishing whether an object qualifies as a dangerous weapon in assault cases. Legal practitioners should note the following:
- The necessity of providing detailed descriptions of objects involved in alleged assaults.
- The implications of jury instructions on culpable mental states and their potential impact on verdicts.
Overall, State v. LaFlamme serves as a critical reminder of the nuanced interpretations of assault laws and the evidentiary standards required to support convictions in Oregon.
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Case Details
Legal case information
Status
Decided
Date Decided
June 18, 2025
Jurisdiction
SA
Court Type
federal
Legal Significance
Case importance metrics
Metadata
Additional information
Quick Actions
Case management tools