State v. Chafee
Annotate this CaseAfter a jury trial, Defendant was convicted of accountability for arson, a felony, and accountability for theft, a felony. The Supreme Court reversed, holding (1) defense counsel’s failure to offer a “mere presence” jury instruction constituted deficient performance under the first prong of Strickland v. Washington, counsel’s conduct fell below an “objective standard of reasonableness,” and Defendant was prejudiced by her counsel’s inadequate performance; and (2) the prosecutor committed misconduct by telling the jurors to base their decision on factors other than the law and evidence. Remanded for a new trial.
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