HINES, Justice.
Mark Allen Lambert appeals his conviction for malice murder in connection with the fatal bludgeoning of his roommate, Billy Ray Smith. His sole challenge is that his trial counsel was ineffective because counsel pursued an invalid defense of coercion. For the reasons that follow, we affirm the malice murder conviction and the judgment entered
The evidence construed in favor of the verdicts showed the following. Smith was found beaten to death in his bed on September 9, 2001. He had been struck in the head between ten and twenty times with a blunt object. There was no sign of forced entry into the residence. The prior evening, Lambert's ex-girlfriend had been at the home, and Lambert witnessed her kissing Smith. While Smith was asleep, Lambert approached two friends in a bar and asked them if they were interested in going to the home he shared with Smith, and robbing Smith and cutting his throat. They refused. Lambert then visited another man, Kip Cochran, and persuaded Cochran to go with him to the home.
When the two men arrived at the home, Lambert picked up a pipe from the front porch and both went inside. Cochran was in the kitchen when he heard Lambert in the bedroom cursing and "saying something about messing with his girl." Cochran entered the bedroom, and when he saw Lambert hit Smith across the head with the pipe Cochran ran outside. Lambert emerged, covered in blood, and asked to wear Cochran's shirt. Lambert threw the blood-covered pipe into the woods. Lambert attempted to burn his bloodied t-shirt and threw the remnants onto the railroad tracks. Cochran gave Lambert his shirt to wear.
The police recovered the steel pipe used to bludgeon Smith as well as Smith's driver's license and Lambert's partially burned t-shirt; DNA taken from the blood stains on the pipe and t-shirt matched that of Smith.
In a statement to police, Lambert initially denied involvement in the crimes and claimed that Cochran did the killing following a dispute with Smith over a marijuana purchase. Subsequently, he changed his story, telling the police that "[Cochran] made me do it," that "[Cochran] made me hit [Smith]." He elaborated that "[Cochran] did have a gun," that "I hit him a few times and then [Cochran] told me, he said you need to keep going," and that "[Cochran] told me to finish." Lambert stated, "I was forced to do it" ... "with the gun." He explained, "[Cochran]— he just—basically he just told me that if I didn't kill [Smith] that he was gonna kill me."
Cochran pleaded guilty to voluntary manslaughter in connection with Smith's murder and testified for the State at Lambert's trial.
1. The evidence was sufficient to enable a rational trier of fact to find Lambert guilty beyond a reasonable doubt of the malice murder of Smith. Jackson v. Virginia, 443 U.S. 307, 99 S.Ct. 2781, 61 L.Ed.2d 560 (1979).
2. Lambert contends that his conviction should be overturned and that he should be granted a new trial because his trial counsel used the legally invalid defense theory of coercion and this amounted to ineffective assistance of counsel. However, in order to prevail on his ineffectiveness claim, Lambert has to show that his attorney's performance was deficient and that the deficiency so prejudiced him that there is a reasonable likelihood that, but for the attorney's errors, the outcome of his trial would have been different; in so doing, he has to overcome the
At the hearing on the renewed motion for new trial, trial counsel testified that: she had handled hundreds of criminal cases including five murders; she was appointed at least a year prior to trial and met with Lambert several times; she worked on plea negotiations but Lambert refused any plea recommendation; the initial defense theory was "you can't kill a dead man," i.e., the victim was already dead before Lambert participated in the incident; in order to support that theory, she sought and obtained funds to hire a forensic pathologist and made copies of over 100 crime scene photographs; she had to abandon the theory as it was not viable because the pathologist concluded that the victim was alive when he received multiple blows from multiple weapons, meaning that there had to have been two people involved, and thus, the victim was alive at the time of Lambert's participation; the pathologist told trial counsel, "you do not want me to testify"; Lambert's story all along was that he had been coerced into participating in the murder because he had been threatened with his life, specifically that Cochran had held a gun to his body and threatened to kill him if he did not hit Smith; she consulted Lambert in electing to let the jury hear his story of coercion; counsel felt there "were several holes in the case which would have led to reasonable doubt" and that the trial strategy was to exploit those weaknesses in the State's case; Lambert's ultimate statements to the police were consistent in his contention that he was coerced into beating Smith; and counsel's decision not to object to the admission of those statements allowed Lambert to get his version of events before the jury without subjecting him to cross-examination.
It is true that coercion is not a legal defense to murder. OCGA § 16-3-26;
Lambert urges that counsel's failure to present any defense other than coercion undermined the adversarial process. But, he fails to even suggest any defense theory that trial counsel should or could have advanced. As previously discussed, trial counsel initially pursued the defense strategy that the victim was already dead by the time Lambert participated in the beating, but she was ultimately thwarted in this effort by the defense expert's evaluation of the forensic evidence. And, as also noted by the trial court, defense counsel strategically attempted to highlight and exploit any possible weaknesses in the State's case, including perceived inconsistencies in Cochran's statements.
In any event, even if trial counsel is deemed deficient, by lack of objection and/or affirmative action, for permitting Lambert's coercion story to be presented to the jury, Lambert still cannot prevail because he must satisfy both prongs of the Strickland test for constitutional ineffective assistance of counsel claims. Bridges v. State, 286 Ga. 535, 539(3), 690 S.E.2d 136 (2010). And, this he cannot do because he cannot demonstrate the required prejudice. The evidence of Lambert's guilt was overwhelming, and there is no reasonable probability that the outcome of his
Judgments affirmed.
All the Justices concur.