Justia Civil Rights Opinion Summaries
Articles Posted in Florida Supreme Court
Reed v. State
Defendant was convicted of first-degree murder and sentenced to death. After his initial postconviction motion was denied, Petitioner filed an amended successive postconviction motion to vacate his judgments and sentence. Defendant filed a motion for discovery with regard his postconviction claim of newly discovered evidence, seeking production of a photograph card of an unidentified fingerprint found on the victim's check, which Defendant sought to compare with that of a deceased death row inmate. The postconviction court denied Defendant's motion for discovery and summarily denied his amended successive postconviction motion. The Supreme Court affirmed, holding (1) the postconviction court correctly summarily denied relief on the postconviction motion, as (i) Defendant's claim was time-barred, and furthermore, the record showed Defendant was not entitled to relief; (ii) Defendant was not entitled to a new trial based on newly discovered evidence; and (iii) Defendant was not deprived of his due process rights to present evidence on his challenge to Florida's lethal injection procedures. The Court also affirmed the circuit court's denial of Defendant's motion for discovery, as Defendant did not show his request would result in discovery of relevant or material evidence. View "Reed v. State" on Justia Law
Zeigler v. State
In 1976, Defendant was convicted of the first-degree murders of his wife Eunice Zeigler and Charlie Mays and the second-degree murders of his in-laws, Perry and Virginia Edwards. In 2001, the trial court granted Defendant's motion for DNA testing for the purposes of clemency proceedings. After the testing was completed, Defendant filed a motion to vacate his sentences, arguing that the presence of Perry's blood on Mays' clothing corroborated his testimony that Mays was a perpetrator rather than a victim. The trial court denied the motion, and the Supreme Court affirmed. In 2009, Defendant filed a motion for postconviction DNA testing requesting further testing of the victims' clothing. Following an evidentiary hearing, the circuit court denied Defendant's motion. The Supreme Court affirmed, holding that Defendant had not met his burden of showing how the results of the DNA testing would give rise to a reasonable probability of a different outcome. View "Zeigler v. State" on Justia Law
Matthews v. State
After a jury trial, Defendant was convicted of first-degree murder and was sentenced to death. The Supreme Court affirmed Defendant's conviction and sentence, holding (1) Defendant's claims regarding the constitutionality of certain aggravators and jury instructions were denied because Defendant provided no reasons that the Court should depart from its precedent upholding the constitutionality of these aggravators and instructions; (2) competent, substantial evidence supported Defendant's murder conviction; and (3) under the totality of the circumstances, Defendant's death sentence was proportional in relation to other death sentences the Court has upheld. View "Matthews v. State" on Justia Law
Deviney v. State
After a jury trial, Defendant was convicted of first-degree murder and sentenced to death. Defendant appealed, contending, among other things, that the trial court erred when it denied his motion to suppress his confession because, during his interrogation and before he confessed to the murder, he invoked his right to remain silent. The Supreme Court reversed and remanded for a new trial, holding (1) based on the totality of the circumstances, the police did not scrupulously honor Defendant's invocation of his right to remain silent; (2) there was not competent, substantial evidence to support the trial court's finding that Defendant's confession was voluntary; and (3) the State failed to establish that this error was harmless beyond a reasonable doubt. View "Deviney v. State" on Justia Law
Bolin v. State
Defendant was convicted of first-degree murder. After a retrial, Defendant was again convicted of first-degree murder and sentenced to death. The Supreme Court affirmed Defendant's conviction and sentence, holding (1) the admission of testimony from Defendant's first trial did not violate Defendant's right to confrontation or to due process; (2) the trial court did not err in admitting a suicide note Defendant wrote while incarcerated; (3) the evidence was sufficient to support a first-degree murder conviction; (4) the trial court did not err in rejecting a proposed statutory mental mitigator; and (5) Defendant's death sentence was proportional in this case. View "Bolin v. State" on Justia Law
Howell v. State
Defendant constructed a bomb with the specific purpose of killing a witness, but the bomb instead detonated and killed a highway patrol trooper. After a jury trial, Defendant was convicted of first-degree murder and of making, possessing, placing, or discharging a destructive device or bomb. Defendant was sentenced to death. After the execution was set for February 26, 2013, Defendant filed a successive motion for postconviction relief, which the trial court summarily denied. The Supreme Court affirmed the denial of Defendant's motion for postconviction relief and denied Defendant's motion for a stay of execution, holding (1) the trial court did not err in denying Defendant's motion to remove appointed registry counsel; (2) the trial court did not err in denying Defendant's motions to appoint experts and investigators; (3) the trial court did not err in finding that lethal injection did not constitute cruel and unusual punishment; and (4) Defendant failed to show that there were substantial grounds upon which relief might be granted regarding his application for a stay of execution. View "Howell v. State" on Justia Law
Bell v. State
Defendant was convicted and sentenced for lewd and lascivious molestation on a victim under twelve years of age by an offender eighteen years of age or older and for failure to appear. Defendant appealed, arguing that certain comments made by a prosecutor during closing argument were improper. The court of appeal affirmed, holding, among other things, that because the victim's age was not an issue which only Defendant was capable of refuting, the prosecutor's comment in regard to the victim's age could not be construed as a comment on Defendant's right to remain silent. The Supreme Court affirmed, holding (1) the prosecutor's comment did not constitute an improper comment on Defendant's right to remain silent; (2) the court of appeal erred in holding that a second comment likewise did not constitute an improper comment on Defendant's right to remain silent and that two additional comments constituted improper burden shifting; but (3) the objections to the improper comments were not preserved for appellate review, and because the comments did not constitute fundamental error, they did not require reversal. View "Bell v. State" on Justia Law
Snelgrove v. State
Appellant was sentenced to death for the 2000 murders of an elderly couple. The Supreme Court affirmed Appellant's convictions but reversed the death sentences and remanded for a new penalty phase. After a new penalty phase, the trial court followed the jury's recommendation and imposed two death sentences for the murders. The Supreme Court affirmed the sentences, holding that the trial court did not err in (1) finding that Appellant was not mentally retarded; (2) admitting a video of a statement Appellant made to law enforcement; (3) instructing the jury on its advisory role and denying Appellant's proposed instruction regarding victim impact evidence; (4) allowing the prosecution to cross-examine mental health experts regarding their knowledge of the facts surrounding the murders; and (5) considering and weighing several aggravators and mitigators. Lastly, the Court found that the prosecutor made permissible comments at closing argument and that the death sentence was proportionate in this case. View "Snelgrove v. State" on Justia Law
Merck v. State
Defendant was convicted of first-degree murder and was sentenced to death. The Supreme Court affirmed Defendant's sentence. Defendant filed a postconviction motion alleging ineffective assistance of counsel. The postconviction court denied the motion after an evidentiary hearing. Defendant appealed and also filed a habeas corpus petition. The Supreme Court affirmed the trial court's denial of Defendant's postconviction motion and denied his habeas petition, holding (1) Defendant did not establish that he received ineffective assistance of counsel, and therefore, his postconviction motion was correctly denied; (2) cumulative error did not deprive Defendant of a fair trial; (2) Defendant's sentence did not constitute cruel and unusual punishment; (3) Florida death penalty statute is not unconstitutional as applied to Defendant; and (4) counsel was not ineffective for failing to allege that Florida's capital sentencing statute is unconstitutional on its face and as applied to Defendant. View "Merck v. State" on Justia Law
Kocaker v. State
After a jury trial, Defendant was convicted of first-degree murder. The jury recommended a death sentence. Following a Spencer hearing, the trial court sentenced Defendant to death upon determining that the State had proven beyond a reasonable doubt the existence of several statutory aggravators. The Supreme Court affirmed the conviction and sentence, holding (1) the evidence presented at trial was sufficient to support the first-degree murder conviction; (2) under the totality of the circumstances, the death sentence in this case was proportionate; (3) Florida's protocol for execution by lethal injection is constitutional; and (4) Florida's capital sentencing process is constitutional. View "Kocaker v. State" on Justia Law