State v. Leonard, 213 N.C. App. 526 (Jul. 19, 2011)

There was sufficient evidence of felonious serious injury by motor vehicle. The defendant had argued that his willful action in attempting to elude arrest was the proximate cause of the victim’s injuries, not his impaired driving. The court rejected this argument concluding that even if his willful attempt to elude arrest was a cause of the injuries, his driving under the influence could also be a proximate cause.