Opinion · Supreme Court of the United States

Cone v. Bell

556 U.S. 449

Type
Opinion
Court
Supreme Court of the United States
Jurisdiction
Federal
Date
2009-04-28
Topic
general

How later courts describe this case

  • holding that state court application of procedural bar resting on false premise creates no bar to habeas review of merits
  • holding that state court application of procedural bar resting on false premise created no bar to habeas review of merits
  • holding that suppressed evidence was not material to the defendant's guilt but was material to his sentence
  • holding that if the state court does not reach the merits of a claim, the claim is reviewed de novo
  • holding that “[b]e-cause the Tennessee courts did not reach the merits of [the] claim, federal habeas review is not subject to the deferential standard that applies under AEDPA”
  • holding that “[a] claim is procedurally barred when it has not been fairly presented to the state courts for their initial consideration”
  • holding that when state courts do not reach the merits of a federal claim, “federal habeas review is not subject to the deferential standard that applies under AEDPA”
  • noting that the reason AEDPA deference was not due is that “the Tennessee courts” did not reach the merits of the claim

Citator

UpLaw has not yet analyzed Cone v. Bell. The absence of a flag is not a finding that it is good law.

Cited by
1039 opinions