Campbell v. State
Annotate this CaseDefendant was convicted of first-degree murder. The Supreme Court affirmed the conviction. Nearly a decade later, Defendant filed a pro se application for postconviction relief, claiming six allegations of error. The trial justice dismissed five out of the six allegations raised in the application as barred by principles of res judicata. A court-appointed attorney subsequently made an independent evaluation to determine whether Defendant's remaining claim of ineffective assistance of counsel had merit. Appointed counsel concluded that none of Defendant's arguments had merit. A trial justice then informed Defendant that his only allegation of ineffective assistance of counsel could proceed to a hearing and that he had no right to be represented by an attorney. After a hearing in which Defendant proceeded pro se, the trial justice granted the State's motion to dismiss. The Supreme Court vacated the judgment and remanded, holding (1) the trial justice erred in summarily dismissing five of Defendant's claims without first providing him with appointed counsel and a meaningful opportunity to respond; and (2) the trial justice's appointment of an "objective attorney" to make an "independent evaluation" of the merits of Defendant's claim of ineffective assistance of counsel violated R.I. Gen. Laws 10-9.1.5.
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