Reams v. State

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The Supreme Court affirmed in part and reversed and remanded in part the judgment of the circuit court granting in part and denying in part Appellant’s unverified petition for postconviction relief pursuant to Ark. R. Crim. P. 37, holding, inter alia, that a fair-cross-section-of-the-jury violation is structural and therefore cognizable in Rule 37 proceedings.Specifically, the Court held (1) the circuit court did not clearly err in finding that Appellant failed to demonstrate a reasonable probability that the jury’s decision would have been different had evidence of Appellant’s other crimes been excluded; (2) the circuit court clearly erred by requiring Appellant to prove that he was prejudiced by his counsel’s failure to pursue a fair-cross-section claim, and therefore, the court erred in denying Appellant’s ineffective assistance claim; and (3) the circuit court did not clearly err in its determination that trial counsel was ineffective for his failure to call a certain witness during the penalty phase and in thus vacating Appellant’s death sentence. View "Reams v. State" on Justia Law