Mendoza v. Lumpkin, No. 12-70035 (5th Cir. 2023)
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Petitioner was convicted of capital murder by a Texas jury and sentenced to death. He later filed an application in district court for habeas relief. In an earlier appeal, because his initial counsel had a conflict of interest, the Fifth Circuit remanded for appointment of additional counsel and further development of potential claims of ineffective trial counsel. An amended application was filed, but the district court rejected all the new claims.
The Fifth Circuit affirmed the district court’s judgment and denied Petitioner’s motion for a Rhines stay. The court explained that as to the four claims for which the district court granted a COA, Petitioner has not shown that trial counsel’s actions in investigating, compiling, and presenting mens rea and mitigating evidence fell below an objective standard of reasonableness. As to the remaining claims for which the court granted a COA, the court found that Petitioner has not shown that trial counsel was ineffective for presenting the expert witness’s testimony, and Petitioner’s request for a Rhines stay is plainly meritless in this context.
The court explained that the expert’s testimony was not so unreasonable, as the expert also testified that Petitioner was still an adolescent and that his brain would not be fully developed until his mid-twenties, helping to explain his psychological condition. Further, the expert opined that Petitioner “has the potential to develop a sense of self and the potential for rehabilitation and some type of spiritual conversion.” Viewed as a whole, it was not deficient of trial counsel to believe this testimony would help Petitioner.
This opinion or order relates to an opinion or order originally issued on March 30, 2015.
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