ABDUS-SALAAM, J.
On this appeal, we must decide whether defendant's trial counsel was ineffective for (1) failing to seek the dismissal of time-barred charges against defendant and (2) failing to object to certain statements by the prosecutor during her summation. For the following reasons, we hold that defendant's trial counsel was not ineffective and therefore the Appellate Division order should be affirmed.
Defendant Nugene Ambers was charged, in two felony complaints, with having committed various sex offenses against
During the People's summation, the prosecutor stated that Dr. Hoffman-Rosenfeld concluded "that these children were sexually abused." Defense counsel made an objection, the court sustained the objection and later gave a curative instruction to the jury stating "that Dr. Hoffman-Rosenfeld testified that she did not find any physical evidence to support the claim of sexual abuse in either [child]. She indicated that the lack of such physical evidence neither proves nor disproves that sexual abuse occurred." The prosecutor also made a series of statements about defendant's alcoholism and stated that defendant abused the children because he was drunk. A number of those statements were made without objection. Defense counsel, however, did make an objection to one such comment, and the court issued a curative instruction stating that "neither [child] testified that the defendant was under the influence of alcohol at the time of any of the alleged acts of sexual abuse in this case." During the People's summation, defendant twice moved for a mistrial; both of those requests were denied.
Defendant was convicted of course of sexual conduct against a child in the first degree, course of sexual conduct against a child in the second degree, rape in the second degree, and two counts of endangering the welfare of a child. On appeal, defendant argued that his trial counsel was ineffective. Specifically, defendant asserted that his trial counsel's failure to seek the dismissal of the endangering the welfare of a child counts
The Appellate Division affirmed, holding that defendant failed to preserve his argument regarding the prejudicial nature of certain statements made by the prosecutor and that he was not deprived of effective assistance of counsel, stating that defendant "failed to demonstrate the absence of strategic or other legitimate explanations for counsel's alleged shortcoming" (see People v Ambers, 115 A.D.3d 671, 672 [2d Dept 2014] [internal quotation marks omitted]). A Judge of this Court granted defendant's application for leave to appeal (see People v Ambers, 23 N.Y.3d 1059 [2014]).
A defendant has the right to receive reasonably effective assistance of counsel under the United States Constitution (see Strickland v Washington, 466 U.S. 668, 687-688 [1984]). Under New York law, the constitutional requirement of effective assistance of counsel is met when "`the evidence, the law, and the circumstances of a particular case, viewed in totality and as of the time of the representation, reveal that the attorney provided meaningful representation" (People v Benevento, 91 N.Y.2d 708, 712 [1998], quoting People v Baldi, 54 N.Y.2d 137, 147 [1981]). "The core of the inquiry is whether defendant received meaningful representation" (Benevento, 91 NY2d at 712 [internal quotation marks omitted]). To demonstrate ineffective assistance of counsel, the defendant must show that he or she did not receive a fair trial because counsel's conduct was "egregious and prejudicial" (People v Oathout, 21 N.Y.3d 127, 131 [2013]). Additionally, the defendant must overcome the strong presumption that defense counsel rendered effective assistance (see People v Barboni, 21 N.Y.3d 393, 406 [2013]). Therefore, defendant must "demonstrate the absence of strategic or other legitimate explanations for counsel's failure" (id. at 405-406). "[I]n ineffective assistance cases, counsel's subjective reasons for a decision are immaterial, so long as `viewed objectively, the transcript and the submissions reveal the existence of a trial strategy that might well have been pursued by a reasonably competent attorney'" (People v Evans,
Relying on People v Turner (5 N.Y.3d 476, 480-481 [2005]), defendant argues that there was no strategic reason to support his trial counsel's failure to seek dismissal of undisputably time-barred endangering the welfare of a child charges,
In People v Turner (5 N.Y.3d 476 [2005]), we held that counsel was ineffective for the single error of failing to raise a statute of limitations defense. In that case, the defendant was indicted for murder in the second degree 16 years after the crime occurred. During the trial, the prosecutor requested that the jury be instructed on the lesser included offense of first-degree manslaughter, which, unlike second-degree murder, carries a five-year statute of limitations (see CPL 30.10 [2] [b]). Although defense counsel objected to the lesser included offense, stating that the defendant "does not want to give a jury the chance to compromise," counsel did not argue that first-degree manslaughter was time-barred (id. at 478). The defendant was acquitted of murder but convicted of manslaughter. This Court held that the defendant's appellate counsel was ineffective for failing to assert that the defendant's trial counsel was ineffective for not seeking dismissal of the time-barred first-degree manslaughter charge. In particular, the Court stated that "the failure to raise a defense as clear-cut and completely dispositive as a statute of limitations ... in the absence of a reasonable explanation for it, is hard to reconcile with a defendant's constitutional right to the effective assistance of counsel" (id. at 481). There was no evident explanation in Turner where defense counsel had opposed having manslaughter charged to the jury, but did not assert the statute of limitations as a basis
Turner did not create a blanket rule that failure to raise an available statute of limitations defense will always render counsel ineffective, but left open the possibility that counsel may have "a reasonable explanation for" the failure to seek dismissal of a time-barred charge that would not render his or her representation ineffective (id. at 481). One such reasonable explanation, where the time-barred charge is a lesser crime than the remaining counts in the accusatory instrument, might be a strategy to allow the jury to reach a compromise verdict.
Thus, in People v Evans (16 N.Y.3d 571 [2011]), this Court examined whether it was a reasonable strategy for a defense attorney not to seek dismissal of a time-barred lesser charge in order to provide the jury an opportunity to render a compromise verdict where there was a multiple-count indictment. The Court concluded that trial counsel had a legitimate strategy for not seeking dismissal of the manslaughter count, because
While seeking dismissal of the endangering the welfare of a child counts (class A misdemeanors) based upon the statute of limitations would have eliminated those charges, defendant still would have faced the remaining charges of second-degree rape as well as first- and second-degree course of sexual conduct against a child as to the older child and second-degree course of sexual conduct against a child as to the younger child — class B and D felonies (see Penal Law §§ 130.75, 130.80, 130.30). Thus, defendant's counsel here, like the defense
Moreover, defendant's trial counsel was not ineffective for failing to object to certain comments made during the prosecutor's summation. Although many of the prosecutor's statements were objectionable, defense counsel's failure to object to certain comments did not render him ineffective. During the prosecutor's summation, defense counsel lodged 30 objections, 15 of which were sustained. Contrary to defendant's contention, the curative instructions the court issued ameliorated any potential prejudice to him (see People v Tosca, 98 N.Y.2d 660, 661 [2002]; People v Galloway, 54 N.Y.2d 396, 399 [1981] [trial judge's prompt response halted any prejudice]; People v Arce, 42 N.Y.2d 179, 190-191 [1977] [same]). Overall, defendant's counsel provided meaningful representation and zealously advocated for defendant by vigorously cross-examining the prosecution witnesses, seeking to discredit the People's theory of the case, twice moving for a mistrial, and objecting to numerous statements made during the People's summation. His failure to make additional objections did not render him constitutionally ineffective.
Accordingly, the Appellate Division order should be affirmed.
Order affirmed.