Landrum v. Anderson, No. 14-3591 (6th Cir. 2016)
Annotate this CaseLandrum was convicted of aggravated burglary and aggravated murder for breaking into 84-year-old White’s apartment and killing him in 1985. The jury found two death penalty specifications: Landrum committed aggravated murder to escape detection for committing burglary, and Landrum was the principal offender in an aggravated murder. The Ohio Supreme Court affirmed. The U.S. Supreme Court denied certiorari. Landrum unsuccessfully sought state post-conviction relief in 1996. The Ohio Supreme Court denied further review. In 1998, Landrum applied to reopen his appeal under Ohio Rule 26(B). The Ohio Court of Appeals denied relief, finding that Landrum failed to show good cause for delaying his application; the Ohio Supreme Court affirmed. Landrum sought federal habeas relief, arguing that his counsel was ineffective for failing to introduce testimony that his co-defendant had confessed to cutting White’s throat. The court granted a conditional writ, finding that Landrum did not procedurally default that claim because Rule 26(B) was not firmly established and regularly followed in Ohio capital cases. The Sixth Circuit reversed. In 2012, Landrum filed an FRCP 60(b)(6) motion, arguing that ineffective assistance of post-conviction counsel excused the procedural default of his claim that trial counsel was ineffective for failing to present the confession claim. The district court denied relief. The Sixth Circuit affirmed, concluding Landrum did not present a “substantial claim” of ineffective assistance of counsel.
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