Opinion · Court of Appeals for the Fifth Circuit

Moore v. Johnson

194 F.3d 586

Type
Opinion
Court
Court of Appeals for the Fifth Circuit
Jurisdiction
Federal
Date
1999-10-27
Topic
general

How later courts describe this case

  • holding that cumulative errors prejudiced defendant at sentencing phase of capital trial, but not during guilt phase
  • holding that a particular decision could not be labeled “strategic” where, inter alia, the attorney had “no idea” why the decision had been taken
  • holding that counsel’s failure to investigate by interviewing witnesses disclosed to counsel by the state and counsel’s failure to proceed reasonably in light of that evidence once disclosed prejudiced the defendant
  • providing that pre-AEDPA standards applied because 24 the habeas petition was “pending at the time the AEDPA became effective”
  • granting habeas relief from death sentence because counsel’s deficient guilt-phase performance prejudiced outcome of penalty phase
  • describing a "strategic” decision as, inter alia, a decision "that ... is expected ... to yield some benefit or avoid some harm to the defense”
  • finding failure to investigate defendant's background and the facts underlying an "accidental shooting” theory was professionally unreasonable
  • finding defense counsel ineffective for failing to investigate, develop, or present mitigating evidence at punishment despite evidence of defendant’s brain damage.

Citator

Moore v. Johnson has been questioned or limited by later authorities: relies on overruled authority: 492 U.S. 302 (overruled by Atkins v. Virginia, 536 U.S. 304 (2002)). Read them before relying on it. 191 later decisions cite it.

Authority status
caution
Cited by
191 opinions