Copenhefer v. Horn, No. 03-9000 (3d Cir. 2012)
Annotate this CaseIn 1989, Copenhefer was convicted of first-degree murder, kidnapping, unlawful restraint, attempted robbery, attempted theft by extortion, and terroristic threats. As to the murder conviction, the jury found two aggravating circumstances and no mitigating circumstances, making a death sentence mandatory. The court imposed the death sentence and consecutive sentences totaling 20 to 40 years on remaining counts. The Supreme Court of Pennsylvania affirmed. A trial court denied a petition under Pennsylvania’s Post Conviction Relief Act; the Supreme Court again affirmed. In 1999, Copenhefer filed a petition under 28 U.S.C. 2254. The district court granted habeas relief from the death sentence on the ground that the trial court failed to instruct the jury that it was required to find that Copenhefer’s lack of a prior criminal record constituted a mitigating circumstance. The Third Circuit reversed, reinstating the original sentence. The court rejected additional claims that counsel rendered ineffective assistance by failing to challenge the Commonwealth’s theory that the victim lingered before dying and that the Commonwealth exercised peremptory strikes to remove female jurors.
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