Summary
In Harris, the Court concluded that the fact that the complainant's declaration followed the police officer's questions did not negate the declaration's status as an excited utterance because it is reasonable to conclude that the officer asked the question to determine whether there was any further danger to the complainant.
Summary of this case from People v. VarnerOpinion
July 13, 2011.
Evidence — Hearsay Evidence — Excited Utterance Exception.