| IN THE SUPREME COURT OF VICTORIA | Not Restricted |
AT MELBOURNE
CRIMINAL DIVISION
No. 1505 of 2003
| THE QUEEN |
| v |
| CUONG QUOC LAM & ORS |
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JUDGE: | Redlich J | |
WHERE HELD: | Melbourne | |
DATE OF HEARING: | 24 January 2005 to 19 September 2005 | |
DATE OF RULING: | 15 July 2005 | |
CASE MAY BE CITED AS: | R v Lam & Ors | |
MEDIUM NEUTRAL CITATION: | [2005] VSC 413 | |
RULING NO. 28
Principals in the first degree - Alternative of manslaughter open.
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APPEARANCES: | Counsel | Solicitors |
| For the Crown | Mr M. Dean S.C. with Mr P. Southey | Mr S. Carisbrooke, Acting Solicitor for Public Prosecutions |
| For Cuong Quoc Lam | Mr S. Grant | Michael Gleeson & Associates |
| For Hung Tu Van | Mr A. Jackson | Haines & Polities |
| For Linh Van Nguyen | Mr D. Brustman | Valos Black & Associates |
| For Thanh Nha Nguyen | Mr F. Gucciardo | Theo Magazis & Associates |
| For Long Thanh Tran | Mr G. Mullaly | Victoria Legal Aid |
| For Hong Bui | Mr J. Saunders | Valos Black & Associates |
| For Hoang Tran | Mr M. Rochford | Brendan Wilkinson |
HIS HONOUR:
In relation to the principals in the first degree, I will leave the alternative of manslaughter open in each of their cases on the bases I have just indicated. In David Nguyen’s case, manslaughter may be open if the jury concluded he did make the admissions alleged but they were admissions to no more than an unlawful and dangerous act and that he did not have the necessary intent for the crime of murder.
Counsel will address the jury as they see fit in relation to those alternatives.
- AGLC
- R v Lam (No 28) [2005] VSC 413
- Case
- [2005] VSC 413
- Decision Date
CaseChat Overview and Summary
The court was tasked with determining the appropriate legal instructions for the jury in relation to the charges against the defendants. Specifically, the court needed to decide whether the alternative charge of manslaughter should be left open to the jury for consideration. This decision was crucial as it involved the interpretation of the defendants' intent and actions in relation to the alleged crimes. The court had to consider whether there was sufficient evidence to support the argument that the defendants' actions, while severe, did not meet the threshold for a murder charge.
Justice Redlich concluded that the alternative of manslaughter should be left open for the jury to consider in the cases of each defendant. This decision was based on the possibility that the jury might find the defendants' admissions to be related only to an unlawful and dangerous act, without the requisite intent for murder. The court instructed counsel to address the jury as they saw fit in relation to these alternatives, allowing for the possibility of a manslaughter conviction if the jury determined that the defendants' actions did not meet the criteria for murder. This nuanced approach ensures that the jury has the flexibility to consider all aspects of the evidence and determine the appropriate charge based on the facts presented.
Orders
Orders of the court
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Background
Background to the litigation
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Evidence
Evidence Before The Court
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Decision
Reasons for decision
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Ratio Decidendi
Legal Principle Established
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