The Court of Appeals in Crawford v. D.C. decided on September 6, 2018, reversed a conviction for Leaving After Colliding (“LAC”) due to lack of sufficient evidence for the conviction. The appellant had argued specifically insufficient evidence to satisfy the mens rea element of the offense, which requires that: The appellant “know[] or ha[ve] reason to believe that his . . . vehicle has been in a collision.” D.C. Code § 50-2201.05c (a). Factually, the appellant was observed by the Police Officers with his vehicle abutting the car in front of him in the parking space and it appearing that
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