United States v. Duncan Burks, No. 19-6010 (6th Cir. 2020)
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Burks was a Gangster Disciple member with leadership and enforcement responsibility. On November 3, 2012, another member, Hardison, went to a Clarksville, Tennessee club, where members of the rival “Bloods” attacked him. Hardison called Burks. The Disciples found Wright, a Blood who had helped attack Hardison, partying without his crew. During the ensuing fight, someone shot Wright in the leg. He staggered toward the door and collapsed. Someone fired another shot into Wright’s abdomen. Wright collapsed and died. The government claims Burks shot Wright.
At trial, prosecutors presented three informants to tie Burks to the killing. A jury convicted Burks on all charges. The court granted him a new trial on four counts, deeming the verdict for those counts against the manifest weight of the evidence. The government appealed. Months later, the government realized it had not disclosed two investigation reports. Burks unsuccessfully moved for a new trial on two counts not subject to the new trial order, claiming a "Brady" violation.
The Sixth Circuit reversed. The court abused its discretion in ordering a new trial. It discounted one informant’s grand jury testimony without a valid reason and discredited the other informants’ trial testimony based on contested facts that are generally resolved by juries. The evidence did not weigh heavily against the verdict but set out a straightforward narrative that the jury could reasonably believe.
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