In re: Raby

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The Fifth Circuit denied a motion for an order authorizing the filing and consideration of a second-or-successive habeas corpus petition under 28 U.S.C. 2254. Assuming arguendo that movant's claim was not time-barred and he could not have previously discovered the factual predicate for the claim using due diligence, the court held that he could not establish by clear and convincing evidence that, but for constitutional error, no reasonable factfinder would have found him guilty of the underlying offense. Therefore, movant failed to make a prima facie showing sufficient to warrant authorization for a second-or-successive habeas petition on the ground that the state destroyed exculpatory evidence such that it is no longer available for testing, in violation of California v. Trombetta and Arizona v. Youngblood. The court also rejected movant's claim under Giglio v. United States that the state's forensic serologist falsely referred to exculpatory serological results; claim of a Brady violation, and claim of actual innocence. View "In re: Raby" on Justia Law