People v. Turner
1995 N.Y. Misc. LEXIS 274, 165 Misc. 2d 222, 629 N.Y.S.2d 661 (1995)
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Rule of Law:
A contest like the shell game is legally defined as gambling if the outcome depends in a material degree upon an element of chance, even if a contestant's skill is also a factor in the game.
Facts:
- A police officer observed the defendant on a public street.
- The defendant was manipulating three bottle caps on top of a cardboard box.
- The defendant called out to pedestrians, in substance, 'five bucks a bet'.
- The defendant was encouraging people to place bets on a game commonly known as 'the shell game'.
Procedural Posture:
- The defendant was charged by misdemeanor information with possessing a gambling device and promoting gambling in the second degree.
- The case was brought in the Criminal Court of the City of New York, New York County, a trial-level court.
- The defendant filed a motion to dismiss the information.
- The defendant's motion argued that the facts alleged did not constitute a crime because the shell game is a game of skill, not chance.
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Issue:
Does operating a shell game, which involves a dealer's skill in manipulation, constitute promoting gambling under a statute defining gambling as a contest where the outcome materially depends on an element of chance?
Opinions:
Majority - Lee Elkins, J.
Yes. Operating a shell game constitutes promoting gambling because the outcome materially depends on an element of chance. The court reasoned that the statutory definition of gambling hinges on whether the outcome depends 'in a material degree upon an element of chance,' even if skill is also a factor. While the dealer of a shell game employs considerable skill, that skill is used to confuse the player and manipulate the odds, not to engage in a contest of skill. The player's ultimate action is always a guess among the shells, which introduces the material element of chance. The dealer cannot control the player's choice, and the player is always free to guess randomly, making the outcome contingent and not determined by skill. This is analogous to poker or blackjack, where a player's skill can improve their odds, but the game remains one of chance due to the random distribution of cards.
Analysis:
This decision solidifies the legal classification of street cons like the shell game as games of chance, thereby falling under gambling statutes. It provides a key interpretation of the 'material degree of chance' standard, clarifying that a dealer's manipulative skill does not transform a game of chance into a game of skill. The ruling diverges from the precedent set in People v. Hunt, creating a split of authority in lower New York courts and signaling that prosecutors have a strong basis to pursue gambling charges against operators of such games without needing to prove specific fraud or deceit.
