Sunday, May 23, 2010
Three year old’s statements admissible under tender years exception to hearsay. State v. Coder 198 NJ 451 (2009) In defendant’s criminal trial on
Three year old’s statements admissible under tender years exception to hearsay. State v. Coder 198 NJ 451 (2009)
In defendant’s criminal trial on charges of sexual assault on a minor, the out-of-court statements by the victim – a three-year-old child – as testified to by her mother, were properly admitted because the statements were relevant and admissible under the tender years exception to the hearsay rule. Additionally, because the child’s statements were not testimonial, they did not implicate the defendant’s Confrontation Clause rights.
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