Jimmy Maddox was sentenced to serve a life of imprisonment after he was convicted in a Georgia State court for charges of rape. Maddox filed for a federal Habeas corpus petition after being unsuccessful at a direct appeal for his charges. His reason behind filing the federal habeas corpus was for the court violating the doctrine of Brady v. Maryland for alleging prosecutorial suppression of exculpatory evidence. The Brady doctrine applies to this case in 4 areas;
“1) The prosecutor has not disclosed information despite a specific defense request; 2) the prosecutor has not disclosed information despite a general defense request for all exculpatory information or without any defense request at all; 3) the prosecutor knows or should know that the conviction is based on false evidence; 4) the prosecutor fails to disclose purely impeaching evidence not concerning a substantive issue, in the absence of a specific defense request,” (Ingram 2015, pg 781).
United States V. Anderson required proof that the accused believed that some particular “official proceeding” was likely to occur in the near future, and was incorrectly instructed that an “official proceeding” includes an investigation. Issue:
Maddox declared that his rights to due process were violated as it is stated in the doctrine of Brady v. Maryland. This violation is proven by the state failing to disclose a photograph taken by the police of Elder’s bed neatly made shortly after the alleged rape. The police found no blood, semen, or fluids of other kinds on the bedspread during an examination, no rape kit was used either, and proof of a letter was found that Debbie Phillips had left the insurance Maddox belonged to for financial reasons by way of a written statement from a witness by the name of Brenda Phelps. Maddox had appealed the denial of habeas relief.
The Review on Mad About The Insanity Defense
Today in our legal system, there are many questionable defense tactics. They are designed to protect the rights of the charged, and further the cause of justice. However, in many cases this betterment of justice has been taken too far, and thus pleas such as "Temporary insanity" are born. Indeed, as will be proven, the insanity defense in itself has been stretched nearly to its breaking point. The ...
Decision of the Court:
The United States Court of appeals ruled that the suppressed evidence is purely impeaching evidence and no defense request has been made, the suppressed evidence is material only if its introduction probably would have resulted in acquittal. Phillips’ testimony played a minor role in the case and Phelps statement had little impact on the jury’s evaluation of Phillips’ credibility. Because of these two things, Maddox was unable to demonstrate that the evidence could have resulted in an acquittal. Under the United States v. Blasco, the evidence was mute, meaning that the defendant filed a joint motion to suppress all physical evidence found and gathered by the officers and any statements made by the defendant. Maddox did not have to raise a fourth amendment challenge as the magistrate found that the requested suppression did not violate the due process right. Maddox’s habeas petition was dismissed by the district court for ongoing reasons, thus making this decision by the district court affirmed. Reasoning of the Court:
The Brady doctrine was determined to not apply by the United States Court of Appeals because the defense team for Maddox had not requested the information be disclosed. Maddox brought up his post conviction habeas corpus petition after he unsuccessfully pursued his direct appeal. The due process was proven to be violated through the omitting of evidence and the failure to disclose in the United States v. Agurs. The police examination of the bedspread produced results that did not give rise to reasonable doubt and are mute under Agurs. The appellant’s version of the incident is found to be consistent with the information and does not contradict the alleged victim’s testimony. The evidence in question for the case is not sufficiently material to render the state’s failure to disclose unconstitutional due to the substantial inculpatory evidence in the record. Rule of Law:
In order to gain victory on a Brady claim, you have to establish the materiality of the exculpatory information suppressed by the prosecution. United States v. Kopituk, The applicable threshold of materiality, however, varies depending on the type of situation. Dissent:
The Essay on Federal Vs State Courts
The United States is at the forefront of modern democracy. Its unique three branched system allows the government to operate under a quasi-idealistic form of checks and balances. As outlined by the U.S. Constitution, the judicial branch of government serves as the interpreter of the law and is “one of the most sophisticated judicial systems in the world.”1 This complexity is a product of balance ...
All the evidence cannot consider the respect most inclined to the government, but instead should evaluate all the evidence as it pertains to the deliberations of a fact finder.