State v. Sweat, 366 N.C. 79 (Jun. 14, 2012)

The court affirmed the holding of State v. Sweat, 216 N.C. App. 321 (Oct. 18, 2011), that there was sufficient evidence of fellatio under the corpus delicti rule to support sex offense charges. The court clarified that the rule imposes different burdens on the State:

If there is independent proof of loss or injury, the State must show that the accused’s confession is supported by substantial independent evidence tending to establish its trustworthiness, including facts that tend to show the defendant had the opportunity to commit the crime. However, if there is no independent proof of loss or injury, there must be strong corroboration of essential facts and circumstances embraced in the defendant’s confession. Corroboration of insignificant facts or those unrelated to the commission of the crime will not suffice.

(quotations omitted). Here, because the substantive evidence of fellatio was defendant’s confession to four such acts, the State was required to strongly corroborate essential facts and circumstances embraced in the confession. Under the totality of the circumstances, the State made the requisite showing based on: the defendant’s opportunity to engage in the acts; the fact that the confession evidenced familiarity with corroborated details (such as the specific acts that occurred) likely to be known only by the perpetrator; the fact that the confession fit within the defendant’s pattern of sexual misconduct; and the victim’s extrajudicial statements to an investigator and a nurse. The court rejected the defendant’s argument that the victim’s extrajudicial statements introduced to corroborate her testimony could not be used to corroborate his confession.