Guidry v. Lumpkin, No. 20-70005 (5th Cir. 2021)
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The Fifth Circuit withdrew its prior opinion on April 21, 2021 and substituted the following opinion.
After petitioner was convicted of capital murder in Texas and sentenced to death, on federal habeas corpus review, the district court granted him relief. The Fifth Circuit court then affirmed the grant of relief, petitioner was retried, and petitioner was resentenced to death. Petitioner again sought federal habeas corpus relief under 28 U.S.C. 2254, but the district court denied relief on all claims.
The Fifth Circuit denied petitioner a certificate of appealability (COA) on the issue of whether the admission of testimony from a defense expert was fruit of the poisonous tree where petitioner has not identified any clearly established Supreme Court precedent extending Harrison v. United States, 392 U.S. 219 (1968), to his incriminating statements to his own expert; whether the State's peremptory strike of a black juror violated petitioner's right to a fair and impartial trial under Batson v. Kentucky, 476 U.S. 79 (1986), where the prosecutor gave six reasons for striking the juror and petitioner failed to present clear and convincing evidence to rebut the determination as objectively unreasonable; whether the State suppressed evidence in violation of Brady v. Maryland, 373 U.S. 83 (1963), where he failed to establish cause for defaulting his Brady claim; and (4) whether petitioner received ineffective assistance of trial, appellate, and habeas counsel under Strickland v. Washington, 466 U.S. 668 (1984), where he failed to prove either the deficiency prong and/or prejudice prong of Strickland and thus could not overcome the procedural bar.
This opinion or order relates to an opinion or order originally issued on April 21, 2021.
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