Wilborn v. Jones, No. 18-1507 (7th Cir. 2020)
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Wilborn was convicted of first-degree murder for the 2004 murder of a rival gang member in Chicago and was sentenced to 30 years, plus 25 years for personally discharging a firearm. After exhausting state remedies, he sought federal habeas relief. He claimed that trial counsel’s promises during opening arguments amounted to ineffective assistance of counsel. Trial counsel indicated multiple times that Wilborn’s co-defendant, Jenkins, would testify to shooting the victim. During the trial, however, Jenkins changed his proposed testimony and defense counsel determined Jenkins would no longer be credible. Wilborn agreed with this recommendation on the record.
The Seventh Circuit affirmed the denial of the petition. Wilborn’s representation did not contain serious errors amounting to a deprivation of a fair trial; unforeseen situations may arise during trial. Counsel’s failure to present Jenkins to the jury or present testimonial evidence does not rise to the level of prejudice under Strickland. Promising the jury it will hear testimony that Wilborn did not participate in the crime does not necessarily create prejudice.
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