Wright v. Delaware
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Defendant-appellant Jermaine Wright appealed a Superior Court order that denied his fourth motion for postconviction relief, and for reimposing Wright's conviction and sentence. Wright was convicted by jury in 1992 for first-degree murder, first-degree robbery and related weapons charges in connection with the death of a liquor store clerk. Wright was then sentenced to death. At trial, the State did not present any forensic evidence including fingerprints, shoe prints, or fibers placing Wright at the scene. Nor did the State present the murder weapon, shell casings, the getaway car, or eyewitnesses to identify Wright. Instead, a jury convicted Wright on his confession to the police while under the influence of heroin and the testimony (since recanted) of a prison informant who testified that Wright admitted the crime. In 2012, the Superior Court vacated Wright’s conviction and sentence because it had “no confidence in the outcome of the trial.” The Superior Court also found that Wright did not knowingly and intelligently waive his Miranda rights because police obtained his confession through defective warnings. The remaining claims were denied. The State appealed, and a majority of the Delaware Supreme Court reversed, ordering Wright’s conviction and sentence reimposed, because the Miranda issue was procedurally barred and that, given his confession, the evidence about the Brandywine attempted robbery would not have led to a different result. After a reinstatement of his conviction and sentence, Wright now appealed his remaining claims originally denied by the Superior Court. “[W]hen the State withholds from a criminal defendant evidence that is material to his guilt or punishment, it violates his right to due process of law in violation of the Fourteenth Amendment. This is exactly what happened here." The Supreme Court vacated Wright’s conviction and death sentence and remanded the case for a new trial.
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