Godoy v. Spearman

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The Ninth Circuit reversed the denial of habeas relief to petitioner, who was convicted of second degree murder. Petitioner claimed that there was improper outside influence on the jury. The en banc court held that the state appellate court's decision was contrary to clearly established Supreme Court law in Mattox v. United States, 146 U.S. 140, 149, and Remmer v. United States, 347 U.S. 227, 229. In denying relief because petitioner's evidence did not prove prejudice, the state court acted contrary to Mattox and Remmer; it was error to rely on the very same statement from Juror 10's declaration both to raise the presumption of prejudice and to rebut it; and the state court denied petitioner a hearing on prejudice under the wrong legal standard. Accordingly, the en banc court remanded with instructions to hold a hearing to determine the circumstances of Juror 10's misconduct, the impact on the jury, and whether it was prejudicial. View "Godoy v. Spearman" on Justia Law