In a charge of murder the cause of death of the deceased must be established unequivocally and the burden rests on the prosecution to establish this and if they fail the accused must be discharged.
– Nnamani JSC. Lori v. State (1980)
In a charge of murder the cause of death of the deceased must be established unequivocally and the burden rests on the prosecution to establish this and if they fail the accused must be discharged.
– Nnamani JSC. Lori v. State (1980)
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In a charge of murder such as the one under discourse, the prosecution must lead credible evidence to establish the essential elements of the offence which are the following: (a) That the deceased had died. (b) That the death of the deceased was caused by the accused person and (c) That the act or omission of the accused person which caused the death of the deceased was intentional with knowledge that death or grievous bodily harm was a probable consequence.
– M. Peter-Odili, JSC. Enabeli v. State (2021)
It ought to have been established and is a well settled law too, that in a case of murder under Section 316 of the Criminal Code, the prosecution must prove beyond reasonable doubt the underlisted ingredients of the offence; namely: (a) That death of a human being has been caused (b) That it was the act of the accused that caused or led to the death of the deceased. (c) That the act or acts were done with the intention of causing death; or (d) The accused knew that death would be the probable consequence of his act or acts See Omini Vs The State (1999) 12 NWLR (pt.630) 168 or (1999) 9 SC 1; Abogede V The State (1996); Ogba v The State (1992) 2 NWLR (pt.222) 164.
— Amiru Sanusi, JSC. Ogunleye Tobi v The State (2019) – SC.714/2017
Be that as it may, however, it is now well settled that as much as medical evidence is desirable to prove the cause of death in homicide cases, it is not a sine quo non. It has been laid down in a long line of cases that cause of death can be established by sufficient evidence. other than medical evidence, showing beyond reasonable doubt that death resulted from the particular act of the accused. See Akpuenya v. The State (1976) 11 S.C. 269, 278. In Lori v. The State (1980) 8-11 S.C. 81 at 97.
— Ogundare, JSC. Azu v State (1993) – SC. 131/1992
If the offender intends to do to the person killed or to some other person some grievous harm; If death is caused by means of an act done in the prosecution of an unlawful purpose, which all is of such a nature as to be likely to endanger human life ; If the offender intends to do grievous harm to some person for the purpose of facilitating the commission of an offence which is such that the offender may be arrested without warrant, or for the purpose of facilitating the flight of an offender who has committed or attempted to commit any such offence; If death is caused by administering any stupefying or overpowering things for either the purposes last aforesaid; If death is caused by willfully stopping the breath of any person for either of such purposes, is guilty of murder. In the second case, it is immaterial that the offender did not intend to hurt the particular person who is killed. A In the third case, it is immaterial that the offender did not intend to hurt any person.
— Onnoghen, JSC. Njoku v. The State (2012)
The law is well settled that in murder cases, (as in this instant case) the prosecution, in order to obtain conviction must prove the under mentioned ingredients of the offence of murder, beyond reasonable doubt. They include the followings:- (1) That the deceased died (2) That the death of the deceased was caused by the act(s) or omission of the accused person/appellant. (3) That the act or omission of the accused/appellant was intentional or with knowledge that death or bodily harm was its probable consequence. See Okin Nsibehe Edoho vs The State (2010) 14 NWLR ( pt. 1214) 651; Audu v State (2003) 7 NWLR (pt.820) 516; R. V. Nwokocha (1949)12 WACA 453; R v Owe (1961) 2 SCNLR 354; State v Omoni (1969)2 ALL NLR 337.
— A. Sanusi, JSC. Bassey v State (2019) – SC.900/2016
In Lori v. State (1980) 8-11 SC 81 at 95-96, this court per Nnamani, JSC said: “In a charge of murder, the cause of death must be established unequivocally and the burden rests on the prosecution to establish this and if they fail the accused must be discharged. See Rex v. Samuel Abengowe 3 WACA 85; R v. Oledima 6 WACA 202. It is also settled law that the death of the victim must be caused by the act of the accused or put differently it must be shown that the deceased died as a result of the act of the accused. See Sunday Omonuju v. The State (1976) 5 SC 1, Frank Onyenankeya v. The State (1964) NMLR. 34.”
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