Troutman v. State
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Andrew Troutman was convicted of malice murder for the stabbing death of Earl Clemons. The incident occurred in January 2014, and Troutman was indicted on charges of malice murder, felony murder, and aggravated assault. The case involved a pre-trial appeal where the trial court's decision to suppress a statement made by Troutman to the police was partially affirmed and partially reversed by the Supreme Court of Georgia. At trial in August 2019, the jury found Troutman guilty on all counts, and he was sentenced to life with the possibility of parole. Troutman filed a motion for a new trial, which was denied, leading to this appeal.
The trial court's decision was based on evidence including threats made by Troutman against Clemons, Troutman's presence at the crime scene, and his confessions to his uncle and former girlfriend. The jury also heard about a fake DeVry student ID found in Troutman's room and his inconsistent statements to the police. The trial court's suppression of part of Troutman's confession did not affect the sufficiency of the evidence.
The Supreme Court of Georgia reviewed the case and found the evidence constitutionally sufficient to support the conviction. The court held that OCGA § 24-14-6, which pertains to circumstantial evidence, did not apply because there was direct evidence of Troutman's guilt. Claims of prosecutorial misconduct were either not preserved for review or resolved in Troutman's favor. The court also found that Troutman did not prove prejudice from his claims of ineffective assistance of counsel, including the decision to present an alibi defense and the failure to object to certain prosecutorial comments during closing arguments.
The Supreme Court of Georgia affirmed the trial court's judgment, concluding that the evidence was sufficient to support the conviction and that Troutman did not demonstrate that any alleged errors by his trial counsel affected the outcome of the trial.
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