A jury found Jason Lenon guilty of armed robbery, aggravated assault, four counts of possession of a firearm during the commission of a crime, and two counts of kidnapping. Lenon appeals, alleging insufficiency of the evidence, improper sentencing, and the introduction of improper evidence at trial. We find no error and affirm Lenon’s convictions. However, because we find that some of Lenon’s convictions must be merged as a matter of law or fact, we vacate the sentences as to those merged convictions and remand this case for resentencing with direction. 1. Lenon contends the evidence is insufficient to support his convictions. On appeal from a criminal conviction, we view the evidence in the light most favorable to support the jury’s verdict, and the defendant no longer enjoys a presumption of innocence; moreover, this Court determines the sufficiency of the evidence and does not weigh the evidence or determine the credibility of the witnesses.1 Resolving evidentiary conflicts and inconsistencies, and assessing witness credibility, are the province of the factfinder, not this Court.2 As long as there is some evidence, even though contradicted, to support each necessary element of the state’s case, this Court will uphold the jury’s verdict.3
Viewed in this light, the evidence shows that on November 11, 2004, Lenon entered Speedee Cash and told the two employees that he wanted to talk to someone about “doing a title pawn.” As one of the employees approached her desk, Lenon pulled out a gun, causing the employee to scream. Lenon moved toward both employees and stated that he wanted the money and the camera tape. The employees were unable to provide the camera tape because only the home office had access to the tape, but they jointly removed the cash from the register and gave it to Lenon. They handed the cash to Lenon because he had a gun pointed at them. After receiving the money, Lenon ordered the employees to go to the back office, and they obeyed his command.