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(800) 285-1763



Useful Orange County Links:

Orange County, CA DUI Defense Lawyers

Toll Free Phone: (800) 285-1763
Toll Free Fax: (888) 286-1840
Email: Okorie@187Law.com

Expert DUI defense attorneys handling cases throughout the greater Orange County area. Call for a free consultation.

DUI Expert Defense Attorney Okorie Okorocha

Education:

  • BA in Biology, 1999
  • Doctorate in Law, 2002
  • M.S. in Forensic science, Candidate 2011

Okorie Okorocha is a high-profile California Attorney who is retained by clients from Southern California to San Francisco because of his expertise in DUI and Criminal Defense.

In 2009, his DUI and Criminal Defense expertise resulted in the Los Angeles District Attorney's office's filing of an opposition brief in the Los Angeles Superior Court, specifically requesting that Mr. Okorocha not be appointed to represent indigent defendants.

Mr. Okorocha has also filed lawsuits for the protection of pets in California animal shelters which have resulted in changes in policy and changes in the law.

Every major newspaper in the United States has covered a case involving the work of DUI expert attorney Okorie Okorocha.

When retained, all cases are handled by Mr. Okorocha personally and are not passed on to an associate or less qualified attorney

Always hire the best Orange County DUI attorney you can find

A person accused of a Driving Under the Influence (DUI) in Orange County is not likely to have to plead guilty.   You would almost want to take every Orange County DUI case to trial, regardless of the blood alcohol level and regardless of how badly the evidence seems stacked.  Orange County has one of the fairest courthouses in the County when it comes to DUIs.  Criminal Defense in Orange County, for those experienced in those Courts offers an opportunity for real justice.

Mr. Okorocha and his team of Orange County DUI Expert Lawyers can help you get the justice you deserve and a fair trial.

This team has been assembled for DUI Defense at the Orange County Courthouse.

In additional to Orange County, the California Legal Team of attorneys also accepts DUI cases throughout the greater Bay Area of California.

Call Orange County, CA DUI expert defense lawyer Okorie Okorocha at (800) 285-1763 to learn about your rights and legal options in conjunction with your DUI case.

DUI Attorney Okorocha on Breathalyzers:

Excerpts of Real California DUI Case Summaries:

Michael PRUDHOLME, Plaintiff, v. JB HUNT TRANSPORT, INC., Defendant., 2009 WL 2174769 (Trial Pleading) (C.D.Cal., June 11, 2009), Plaintiff's First Amended Complaint for (1) Wrongful Termination in Violation of Public Policy; (2) Wrongful Termination in Violation of Labor Code | 432.7; (3) Violation of Private Attorneys' General Act, Labor Code Section 2699 et seq.,; Attorneys' Fees, Costs; and Demand for Jury Trial, (No. CV-09-00226 CAS (9JCx).)

...on Defendant JB Hunt's unlawful termination of his employment based on an arrest for driving under the influence of alcohol (“DUI”) that did not result in a conviction in violation of Section 432.7 of the California Labor Code , the public...

...On May 3, 2008, while off-duty and on his own personal time, Plaintiff Prudholme was arrested and charged with DUI; specifically, with an alleged violation of California Vehicle Code Section 23152 (a). [FN1] As discussed further below, the DUI charge was bogus and was ultimately dropped and dismissed. FN1. California Vehicle Code Section 23152 (a) provides: “It is unlawful for any person who is under the influence of any alcoholic beverage or drug, or under the combined influence of any alcoholic beverage and drug, to drive a vehicle. Vehicle Code Section 23152 (b) further clarifies that: “It is unlawful for any person who has 0.08 percent or more, by weight, of...

...Plaintiff Prudholme that Defendant JB Hunt had decided to terminate Plaintiff Preudholme's employment, effective immediately, as a result of his DUI arrest, which had appeared on a report known as an H-6, to which Defendant JB Hunt was privy. At...


PEOPLE OF THE STATE OF CALIFORNIA, Petitioners, v. SUPERIOR COURT OF YOLO COUNTY, Respondent. Paul M. Cook, Real Party in Interest and Defendant., 2009 WL 1968250 (Appellate Petition, Motion and Filing) (Cal., June 08, 2009), Petition for Review, (No. S173576.)

...7 Statement of Facts   7 Background and Criminal History of Defendant   7 Facts of Case No. 05-07602, the 2005 DUI    8 Facts of Case No. 08-03634, the 2008 DUI    10 Early Procedural Chronology of Case No. 08-03634   10 The Plea and Sentencing for the 2008 DUI    11 Argument   13 Legal Standard   13 The Trial Court Abused its Discretion in Granting Probation   14 Statutory Sentencing Factors Cannot...

...a)(b)(1)   7 Vehicle Code Section 23153 (a)   7, 12 Vehicle Code Section 23153 (b)   7 Vehicle Code Sections 23152 (a)/ 23550.5  12 Rules California Rules of Court, Rule 8.500 , subdivision (b)(1)   6 CRC Rule 4.406...

...INTRODUCTION A. Summary of Argument. Defendant, then 60 year-old Paul Cook, committed his fourth driving under the influence offense (“DUI”) while on felony probation for his third DUI offense. In his third DUI offense (the “2005 DUI”), Defendant drove with a blood alcohol level exceeding. 20%, rammed into a car stopped at an intersection causing injury, then fled the scene. At the time of the 2005 DUI, Defendant said he did not realize his problem with alcohol until that DUI and that he would not drink again. In his fourth DULI (the “2008 DUI”), Defendant, in the middle of the afternoon, was driving so drunk (more than. 20% blood alcohol) that he almost struck...

UNITED STATES OF AMERICA, Plaintiff-Appellee, v. Antonio LOPEZ-JACOBO, Defendant-Appellant., 2009 WL 5836078 (Appellate Brief) (C.A.9, June 08, 2009), Defendant-Appellant's Reply Brief, (No. 08-50537.)

...§ 1326(d) 1, 4 FEDERAL RULES Fed. R. App. P. 28(c) 1 STATE STATUTES Cal. Veh. Code § 23152 (b)   9 MISCELLANEOUS Cal. Ct. R. 4.414  10 Cal. Ct. R. 4.423  10 I. INTRODUCTION Defendant-Appellant, Antonio...

...Lopez and the Government overlooked a misdemeanor conviction in 1990 for driving under the influence, per Cal. Veh. Code § 23152 (b). PSR 3; AOB 22, 32. The sentence on that offense was apparently part of the concurrent sentence of summary...

...probation with 30 days jail and community service imposed for the joyriding conviction in the same case. PSR 3. Simple DUI is not a crime of moral turpitude and so does not require a waiver. AOB 23; see Murrillo-Salmeron v...

The information provided on this Orange County, CA DUI Criminal Defense Attorney / Law Firm website is for general information purposes only. Nothing on this or associated pages, documents, comments, answers, emails, or other communications should be taken as legal advice for any individual case or situation. This information on this website is not intended to create, and receipt or viewing of this information does not constitute, an attorney-client relationship.

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