Tanner v. Yukins

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Tanner, convicted of murder in 2000, unsuccessfully sought habeas relief, arguing that the Michigan Supreme Court unreasonably applied Supreme Court precedent when it upheld the denial of funding for a defense serology or DNA expert, and when it held that there was sufficient evidence to convict Tanner. The Sixth Circuit granted relief. Tanner was convicted based on insufficient evidence. The inculpatory evidence establishes, at best, “reasonable speculation” that Tanner was in the crime scene’s parking lot around the time of the murder and that she was last in possession of the murder weapon approximately a month before the murder. The court noted contradictory testimony; the lack of evidence that Tanner entered the building or that the knife was in her possession near the time of the murder. The blood found at the scene matched Tanner’s blood type and PMG subtype. Millions of people share Tanner’s blood type and PGM subtype and there is no way of knowing whether the blood belonged to the perpetrator or to one of the people who gathered after the murder. An unidentified woman’s blood was on the victim’s shirt. The victim was killed during a struggle and the blood did not come from Tanner or from any of her hypothesized accomplices. View "Tanner v. Yukins" on Justia Law