Middlebrooks v. Carpenter, No. 14-6061 (6th Cir. 2016)
Annotate this CaseIn April 1987, witnesses saw Middlebrooks and Brewington chase Majors, a 14-year-old black male. The next day, Majors’ body was found near where that incident had occurred. Majors had been tortured. Brewington led police to a bloodstained knife and to Middlebrooks, who resisted arrest. Middlebrooks gave a video-taped statement. He admitted that he stabbed Majors twice, but depicted Brewington as the primary perpetrator. A jury convicted Middlebrooks of felony murder and aggravated kidnapping and sentenced him to death. The Tennessee Supreme Court upheld Middlebrooks’s convictions but vacated the death sentence. Evidence presented on remand indicated that Majors was small for his age, a good student, not violent, and not armed. Middlebrooks was described as a member of the KKK, who “hated niggers.” Middlebrooks’ relatives described his childhood as involving sexual abuse and neglect. There was testimony that Middlebrooks has severe mental illness and organic brain impairment. The jury found the murder “especially heinous, atrocious, or cruel,’” and that this outweighed any mitigating factors. Middlebrooks was resentenced to death. The sentence was affirmed. His petition for state post-conviction relief was unsuccessful. The Sixth Circuit affirmed denial of Middlebrooks’s federal habeas petition. The U.S. Supreme Court vacated in light its 2012 decision, Martinez v. Ryan. On remand, the district court again denied Middlebrooks’s petition, finding his ineffective-assistance-of-trial-counsel claims not “substantial” under Martinez and not warranting an evidentiary hearing or habeas relief. The Sixth Circuit affirmed. Middlebrooks’s claims were rejected on the merits in state court.
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