Kasonde and Anor v People (CAZ Appeal 18 of 2016) [2017] ZMCA 154 (17 March 2017)

Kasonde and Anor v People (CAZ Appeal 18 of 2016) [2017] ZMCA 154 (17 March 2017)

The conviction for murder was unsafe due to lack of proof beyond reasonable doubt regarding causation between the burns and death, as the medical evidence was ambiguous and the author of the post-mortem report was not called. The evidence of the child witness was improperly admitted due to a defective voire dire....

Source-derived case information.

Citation
[2017] ZMCA 154
Parties
1st Appellant: Lazarous Kasonde; 2nd Appellant: Maureen Chanda; Respondent: The People
Court
Court of Appeal of Zambia
Jurisdiction
Zambia
Case Number
CAZ Appeal 18 of 2016
Procedural Posture
Criminal Appeal / Judgment on Appeal
Outcome
Convictions for murder quashed; substituted with convictions for assault with intent to disfigure or disable. Sentences for murder set aside. 1st appellant convicted and sentenced to life imprisonment for assault on Jennifer Mukupa. Both appellants convicted and sentenced for grievous harm to Harrison Chanda: 1st...
Legal Topics
Murder, Assault Occasioning Grievous Bodily Harm, Causation in Homicide, Evidence of Child Witnesses, Confession Admissibility, Sentencing
Source Language
en
Criminal Law Murder Assault Occasioning Grievous Bodily Harm Causation in Homicide Evidence of Child Witnesses Confession Admissibility Sentencing

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Parties

Lazarous Kasonde

1st Appellant

Maureen Chanda

2nd Appellant

The People

Respondent

Procedural Posture

Criminal Appeal / Judgment on Appeal

  1. 1 Whether the conviction for murder was supported by proof beyond reasonable doubt given the medical evidence on cause of death
  2. 2 Whether the evidence of a child was properly received on oath after a defective voire dire
  3. 3 Whether confessions made to family members were admissible

Ratio Decidendi

The conviction for murder was unsafe due to lack of proof beyond reasonable doubt regarding causation between the burns and death, as the medical evidence was ambiguous and the author of the post-mortem report was not called. The evidence of the child witness was improperly admitted due to a defective voire dire. However, confessions to family members were admissible, and the evidence supported convictions for assault with intent to disfigure or disable under Section 224(a) of the Penal Code.

Court Disposition

Convictions for murder quashed; substituted with convictions for assault with intent to disfigure or disable. Sentences for murder set aside. 1st appellant convicted and sentenced to life imprisonment for assault on Jennifer Mukupa. Both appellants convicted and sentenced for grievous harm to Harrison Chanda: 1st...

Orders

  • Convictions and sentences for murder quashed
  • 1st appellant convicted of assault with intent to disfigure or disable Jennifer Mukupa, sentenced to life imprisonment