Biddle v. Commonwealth and Davis v. Commonwealth are two cases that portray different interpretations and application of the law with regards to imputability in criminal law. These cases provide a different view of an individual's responsibility with regards to the level of care or responsibility for a parent than for a child. An analysis of the court ruling in each of these cases helps in understanding the required level of care or responsibility. This is primarily because the court decisions were based on the level of legal duty imposed by law on the parties. Even though the cases are relatively similar, there were differences in the rulings because of the differences in the legal duty of the parties involved.
Overview of the Cases
In Biddle v. Commonwealth, Shirley Mae Biddle was charged with first-degree murder of her baby on the premise that the baby was malnourished, dehydrated and had not eaten for a couple of days. When police detectives visited Biddle's home, they not only found the baby's body in severe state of malnutrition but also found blood spots on the diaper and her private parts. There was another infant lying on a newspaper in a bassinet with wet diapers and rash on her buttocks. Medical testimony showed that the deceased baby was born healthy as she weighed 5 pounds and 8 ounces at birth. Upon death, the baby weighed 4 pounds and 5 and one-half ounces and had a complete empty intestinal tract and stomach. The medical examiner therefore concluded that the baby was not fed well.
During trial, the defendant (Biddle) testified that she fed the baby on a daily basis, but she would not drink all the milk given to her. Biddle also stated that the baby never cried because she was hungry and never mistreated her or treated her differently from the other children. On the other hand, Biddle's husband accused her of having the baby and the other children by other men. The defendant was convicted and sentenced to 20 years in prison, a ruling that she appealed. The appeal was granted on the premise that the Commonwealth had not proved beyond reasonable doubt that Biddle acted deliberately or maliciously to cause the death of her baby. Consequently, the court argued that the conviction of first-degree murder was not supported by the evidence and reversed the conviction and remanded the case for a new trial.
In Davis v. Commonwealth, Mary V. Davis was convicted of unintentional manslaughter of her mother and sentenced to 10 years in prison. A paramedic from the Lynchburg Fire Department responded to a call from a house in Monroe Street that was occupied by Davis and her mother, Emily B. Carter. Upon arrival to the house, the paramedic found Carter lying on a bed on a cold day while there was not heat in her room. The source of heat in this room was a tin heater that was not being used at this time. Additionally, there was only a can of juice, two cans of soup, cheese, and an open box of macaroni in this house. One of the two trash cans behind the house had approximately 12 empty cans of vegetable while the other was filled with empty beer cans. The defendant's (Davis) upstairs room was found to have a supply of firewood, a functioning stove, and a color television. When Carter was admitted to a hospital that evening, she was severely ill and unstable. She died three days later because of severe malnutrition, low body temperature, and bilateral pneumonia. In addition, she was found to have a blood stream infection, several rib fractures, and a skull laceration. Based on a report from a forensic pathologist, the main causes of Carter's death were pneumonia and exposure to a chronic state of starvation.
During trial, Davis contended that the evidence in the case failed to establish whether she had a legal duty to care for her mother...
She argued that the evidence in this case only proved a moral duty to care for her mother rather than a legal one. These claims were dismissed by the court on the premise that the evidence showed that she accepted sole responsibility for the complete care of her mother, which essentially became a full-time occupation for her. Her legal duty for the total care of the deceased is attributable to the fact that she was not a volunteer as shown by the existence of an implied contract between the two parties. In its ruling, the court found Davis culpable of involuntary manslaughter because she had neglected Carter for a long period of time. The court argued that Carter's death could have been prevented if she was not starved and frozen to death as demonstrated by the scientific evidence in the case. Consequently, the court upheld the trial court's ruling on the premise the Davis breached her legal duty of care, which eventually resulted in the death of her mother, Carter.
Differences in the Courts' Decisions
As previously mentioned, the court reached different decisions in these two cases despite relatively similar incidents that involved different parties. In Biddle v. Commonwealth, the case was centered on whether the defendant committed negative acts that would warrant a first-degree murder sentence. Based on common law, an individual is convicted of murder if he/she acts with pre-determined or implied malice. This implies that the general rule in common law is that conviction of murder should be supported by direct consequence of malicious omission of performance of a legal duty. Therefore, if the malicious omission is not deliberate and is a result of neglect, it is manslaughter rather than murder (Dripps, Boyce & Perkins, 2013). The court focused on examining whether Biddle acted deliberately or not to cause the death of her baby. This essentially means that conviction of a murder requires the proof of malice for negative acts or omission of performance of a legal duty.
On the other hand, in Davis v. Commonwealth, the main focus of the case was on whether the defendant (Davis) had a legal duty to care for her mother and whether she performed her duty as required by law. A legal duty such as the duty of care is usually imposed by law or generated by a contract including an implied contract. Similar to Biddle v. Commonwealth, the court examined whether there was malicious omission of the performance of duty or criminal negligence in a manner that would result in death. Davis legal duty for total care of her mother emerged from an implied contract since she accepted sole responsibility to care for her.
The court reached two different decisions because of the proof of malice in both cases, which is required in order to convict a person of murder. Biddle had clearly neglected her baby, was careless, and was apathetic in performing her duties not only to the baby but other family members as well. Since her careless, neglect, and indifference in performing her duties extended to other members of the family, her negative acts towards the baby were not malicious. In this case, she did not maliciously target the baby but treated her just like she treated other members of her family. While she had the responsibility to take care of her baby, she was struggling in how to treat members of her family including the other infant who was found lying on newspapers in a bassinet. There was lack of sufficient evidence that could prove beyond reasonable doubt that Biddle acted maliciously or deliberately to withhold food and other necessities from the infant. Based on the court's interpretation of common law rule relating to murder, the intention to kill and deliberate or malicious…
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