Gilliam v. Sealey, No. 18-1366 (4th Cir. 2019)
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This case stemmed from the wrongful conviction of two brothers, teenage boys with severe intellectual disabilities, for the rape and murder of an 11 year old girl in 1983. The brothers spent 31 years in prison and on death row before they were exonerated based on DNA evidence linking another individual to the crime. The brothers filed a 42 U.S.C. 1983 action alleging that the state and county law enforcement officers investigating the crime violated their Fourth Amendment and due process rights.
The Fourth Circuit held that the district court did not improperly apply the test for qualified immunity by waiting to parse the liability of each individual defendant as it relates to each claim until the facts were determined; defendants did not have probable cause to arrest the brothers as a matter of law; and the brothers' right not to be arrested without probable cause based on a coerced and fabricated confession was clearly established. Therefore, the district court did not err by denying summary judgment to defendants on the false arrest and malicious prosecution claims based on qualified immunity.
The court also held that the district court properly denied summary judgment as to the due process claims where it was beyond debate at the time that the brothers' constitutional rights not to be imprisoned and convicted based on coerced, falsified, and fabricated evidence or confessions, or to have material exculpatory evidence suppressed, were clearly established.
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