In a first-degree murder trial involving alleged street gang members, the Crown sought to clarify and maintain the admissibility of certain evidence following a pre-trial ruling.
The court reconsidered the admissibility of a YouTube video after correcting a factual misapprehension about its contents, ruling it remained highly probative of gang affiliation and motive.
The court also permitted the Crown to adduce a composite audio recording for voice identification, provided no visual component was shown.
Finally, the court held that numerous handwritten documents and rap lyrics seized from the respondents' apartment were admissible without further redaction, as their probative value regarding gang membership and animus toward rival gangs significantly outweighed their prejudicial effect as bad character evidence.