Raheem v. GDCP Warden, No. 16-12866 (11th Cir. 2021)
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The Eleventh Circuit affirmed the district court's denial of petitioner's 28 U.S.C. 2254 habeas corpus petition in a case where petitioner was convicted of two murders and sentenced to death.
The court concluded that petitioner's trial attorneys were not prejudicially ineffective by failing to further investigate and present to the jury evidence of his mental illness, cognitive deficits, and brain damage, and by failing to investigate and present evidence of additional mitigating family background and social history. The court concluded that the state court's rejection of these claims was neither contrary to nor an unreasonable application of clearly established Supreme Court law, nor was it based on an unreasonable determination of the facts in light of the evidence presented. The court was similarly unpersuaded regarding petitioner's procedural and substantive claims of incompetency to stand trial. Furthermore, petitioner's due process rights were not violated when he was required to wear a stun belt at trial. The court rejected petitioner's several claims of prosecutorial misconduct. Finally, the court concluded that it was not contrary to or an unreasonable application of clearly established law for the Georgia Supreme Court to have concluded, on direct review, that the prosecutor's violation of petitioner's Fifth Amendment rights by commenting on his failure to testify was harmless beyond a reasonable doubt.
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