The accused was charged with trafficking cocaine.
The court applied the co-actor's exception to the hearsay rule (Carter test) to admit intercepted communications.
The court found a common unlawful design to traffic cocaine and that the accused was a participant based on direct and inferential evidence, including surveillance and phone communications.
The accused's arguments regarding the necessity of calling a co-actor witness and the credibility of a police agent were rejected.
The court found the accused guilty on both counts.