Moseley v. Kemper

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Milwaukee police arrested Moseley at his house after M.K. accused him of domestic violence. While searching Moseley’s apartment, officers found handcuffs, rope, and other items associated with sexual bondage and seized Moseley’s computer, camera, external hard drive, and CDs and sent the electronic devices to the Department of Justice. When DOJ detectives searched the devices, they discovered nude photos of M.K. and of T.H., who worked with Moseley at a U.S. Marshal’s office. T.H. alleged that Moseley forced her into a sexual relationship by threatening her job. Her statement also chronicled his abusive behavior. The state charged Moseley with possessing nude photos of T.H. taken without her consent. Wis. Stat. 942.09(2). Moseley’s primary defense was that the two had been in a consensual relationship and that T.H. had consented to the photos. Before trial, Moseley unsuccessfully sought in camera review of T.H.’s mental-health records. Moseley was convicted. Wisconsin courts affirmed the denial of in camera review. The Seventh Circuit affirmed the denial of federal habeas relief. The state court decisions that the records did not contain material impeachment evidence and that whether T.H. consented to the relationship was immaterial to whether she consented to the photographs, were not contrary to, or an unreasonable application of Supreme Court precedent. View "Moseley v. Kemper" on Justia Law