Justia Civil Rights Opinion Summaries
Articles Posted in Arizona Supreme Court
State v. Thompson
The Supreme Court affirmed Defendant's convictions for multiple counts of first degree murder and sentence of death, holding that no prejudicial error occurred in the proceedings below.After a ten-day trial, a jury found Defendant guilty of the 2012 first degree murders of Penelope Edwards and Troy Dunn under both premeditated and felony murder theories. After the penalty phase of trial, the jury returned death verdicts for both murders. The Supreme Court affirmed, holding (1) the trial court did not err in denying Defendant's motion to suppress evidence recovered during a traffic stop and any fruit of that search; (2) the trial court did not err in the way it conducted voir dire; (3) Defendant's evidentiary challenges were without merit; (4) one instance of prosecutorial error occurred, but the error was not prejudicial; (5) any error during the aggravation phase was harmless; and (6) Defendant's challenges to the death penalty were unavailing. View "State v. Thompson" on Justia Law
State v. Porter
The Supreme Court affirmed Defendant's conviction of resisting arrest, holding that neither federal or Arizona Batson jurisprudence requires a trial court to expressly address a demeanor-based justification when two race-neutral reasons are offered, the non-demeanor-based justification is explicitly deemed credible, and there is no finding that the demeanor-based justification is pretextual.On appeal, Defendant argued that the prosecutor's disparate treatment of jurors and failure to conduct voir dire on the issue of prior jury service demonstrated that the prosecutor had discriminatory intent during jury selection. The court of appeals remanded the case on the grounds that the trial court did not expressly determine whether the proffered justifications were not only race-neutral but also credible. The Supreme Court vacated the court of appeals' opinion and affirmed the trial court's denial of Defendant's Batson challenge, holding that the trial court satisfied its obligations under federal and Arizona Batson jurisprudence. View "State v. Porter" on Justia Law
State v. Duffy
The Supreme Court affirmed the decision of the court of appeals vacating Defendant's conviction and sentences and remanding for a new trial, holding that the trial court did not adequately confirm that Defendant waived his right to conflict-free counsel.Defendant and his co-defendant were charged with conspiracy, possession and transportation of marijuana for sale, and unlawful possession of drug paraphernalia. At Defendant's arraignment, the prosecutor noted his concern about one attorney representing both codefendants were they were competing defenses. Defense counsel dismissed the concerns because the codefendants had signed a waiver of potential conflict after being advised of their rights. The jury ultimately convicted both defendants on all counts. The Supreme Court vacated the convictions, holding that the joint representation presented an actual conflict that violated Defendant's Sixth Amendment right to conflict-free representation. The Supreme Court affirmed, holding that Defendant did not knowingly and intelligently waive the right to conflict-free counsel. View "State v. Duffy" on Justia Law
State v. Miller
The Supreme Court reversed the judgment of the post-conviction court granting Defendant post-conviction relief (PCR) on the ground that counsel's ineffectiveness challenged Defendant, holding that Defendant's lawyers were not deficient by failing to challenge a challenged jury instruction.Defendant was convicted of five counts of first-degree murder and other charges. The jury returned death sentence verdicts on each murder count. Defendant later brought his petition for PCR, claiming that his counsel were constitutionally ineffective for failing to object to the Revised Arizona Jury Instruction's (RAJI) definition of "significantly impaired." The post-conviction court concluded that the RAJI had misstated the law by using the word "prevented" and that both trial and appellate counsel were constitutionally ineffective for failing to challenge the instruction. The Supreme Court reversed, holding that even if Defendant's counsel were deficient for failing to challenge the RAJI, Defendant's defense was not prejudiced. View "State v. Miller" on Justia Law
State v. Mixton
The Supreme Court affirmed Defendant's convictions, holding that neither the United States nor the Arizona Constitution requires a search warrant or court order for a law enforcement officer to obtain either a user's Internet Protocol (IP) address or subscriber information the user voluntarily provides to an Internet Service Provider (ISP) as a condition or attribute of service.Defendant was indicted on twenty counts of sexual exploitation of a minor under fifteen years of age. Defendant filed a motion to suppress on the grounds that the United States Fourth Amendment and Ariz. Const. art. II, 8 required a warrant or court order to obtain his IP address and ISP subscriber information. The motion was denied, and a jury convicted Defendant on all counts. The court of appeals affirmed. The Supreme Court affirmed, holding that the State lawfully obtained the challenged information with a valid federal administrative subpoena because neither the Fourth Amendment nor article 2, section 8 of the Arizona Constitution requires law enforcement officials to secure a search warrant or court order to obtain IP addresses or subscriber information voluntarily provided to ISPs as a condition or attribute of service. View "State v. Mixton" on Justia Law
State v. Smith
The Supreme Court affirmed Defendant's convictions and sentences for first-degree murder and child abuse, holding that no prejudicial error occurred during the trial proceedings.Specifically, the Supreme Court held (1) the trial court did not err in denying Defendant's motion to suppress; (2) the trial court did not violate the Due Process Clause of the Fourteenth Amendment by admitting a pretrial identification of Defendant; (3) the trial court did not err in denying Defendant's Batson challenges to the State's peremptory strikes of two jurors; (4) the trial court did not err by admitting a video demonstrating the location and movement of Defendant's and the victim's cellphones on the day of the murder; (5) the trial court did not err by restricting Defendant's cross-examination of the State's former case agent; (6) the trial court did not commit fundamental error by failing to reinstruct the jury at the close of the aggravation stage; (7) substantial evidence supported the jury's finding that Defendant killed the victim for pecuniary gain; (8) the jury was properly instructed; (9) the State did not engage in prosecutorial error; and (10) the jury did not abuse its discretion in sentencing Defendant to death. View "State v. Smith" on Justia Law
State v. Vargas
The Supreme Court held that a defendant presenting an appellate claim of fundamental error due to cumulative prosecutorial misconduct does not need to assert fundamental error for every allegation in order to preserve for review the argument that misconduct occurred.Defendant was convicted of first degree murder and other crimes. On appeal, Defendant argued that the prosecutor committed several instances of misconduct. For all but three of the alleged incidents of misconduct, the court of appeals concluded that Defendant waived argument that error occurred because he failed to set forth an argument of fundamental error for each allegation. The court then determined that Defendant failed to successfully argue misconduct for any of his allegations. The Supreme Court vacated the court of appeals' decision, holding (1) when a defendant raises a claim on appeal that multiple incidents of prosecutorial misconduct, for which the defendant failed to object, cumulatively deprived him of a fair trial, the defendant need not argue that each instance of alleged misconduct individually deprived him of a fair trial; and (2) Defendant indisputably argued that cumulative error entitled him to a new trial due to pervasive prosecutorial misconduct. View "State v. Vargas" on Justia Law
State v. Lietzau
The Supreme Court reversed the trial court's order granting Defendant's motion to suppress, holding that Arizona's standard conditions of probation, which permit warrantless searches of a probationer's "property," apply to cell phones and that the search in this case was compliant with the Fourth Amendment.While Defendant was on probation, an adult probation department surveillance officer arrested Defendant for violating several conditions of probation. En route to jail, the officer looked through incriminating text messages and photos on Defendant's phone. The State subsequently indicted Defendant on sex counts of sexual conduct with a minor. Defendant moved to suppress the evidence gathered from the cell phone search. The trial court granted the motion. The court of appeals reversed. The Supreme Court affirmed, holding (1) the plain meaning of "property" in one of Defendant's conditions of supervised probation included cell phone, and Riley v. California, 573 U.S. 373 (2014), did not vary that meaning; and (2) under the totality of the circumstances, the officer's search of Defendant's cell phone was reasonable and did not violate the Fourth Amendment. View "State v. Lietzau" on Justia Law
State v. Riley
The Supreme Court affirmed Defendant's conviction for first degree murder and assisting a criminal street gang and his sentence of death, holding that there was not prejudicial error in the proceedings below.(1) the trial court did not abuse its discretion in denying Defendant's motion to change lead counsel; (2) Defendant failed to show that he was prejudiced by the trial court's failure to question jurors on questionnaire answers sua sponte; (3) any error in the admission of certain evidence was harmless; (4) Defendant did not suffer any prejudice by the trial court's instructions to the jury; (5) Defendant provided no valid arguments challenging the constitutional sufficiency regarding Arizona's (F)(6) aggravator or the constitutional applicability of the aggravator by a jury, rather than a judge; (6) the prosecutor's recitation of the guilt-phase accomplice liability instruction in the aggravation phase did not constitute error; and (7) any other errors in the trial court proceedings did not prejudice Defendant. View "State v. Riley" on Justia Law
Brush & Nib Studio, LC v. City of Phoenix
The Supreme Court held that the owners of Brush & Nib Studios, LC (together with Brush & Nib, "Plaintiffs") have the right to refuse to create custom wedding invitations celebrating same-sex wedding ceremonies in violation of their sincerely held religious beliefs under article 2, section 6 of the Arizona Constitution and Arizona's Free Exercise of Religion Act (FERA), Ariz. Rev. Stat. 41-1493.01.At issue was whether the City of Phoenix could apply its Human Relations Ordinance Plaintiffs to create custom artwork for same-sex weddings. The trial court granted summary judgment for the City, concluding that the Ordinance did not violate Plaintiffs' rights to free speech or free exercise of religion under FERA. The court of appeals affirmed. The Supreme Court vacated the court of appeals' opinion and reversed the trial court's rulings, holding that the Ordinance, as applied to Plaintiffs' custom wedding invitations, and the creation of those invitations, unconstitutionally compels speech in violation of the Arizona Constitution's free speech clause and substantially burdens Plaintiffs' free exercise of religion under FERA. View "Brush & Nib Studio, LC v. City of Phoenix" on Justia Law