Mitchell v. Genovese, No. 19-6070 (6th Cir. 2020)
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In 1986, Mitchell, a black man, was convicted by an all-white jury of raping two white women in Tennessee. It is undisputed that the prosecution’s decision to strike a black prospective juror violated the Supreme Court’s 1986 holding, Batson v. Kentucky. The district court granted relief on Batson grounds in 1995, but the Sixth Circuit reversed, holding that Mitchell had to first establish “cause and prejudice” for failing to develop the claim before the state court. Multiple remands left Mitchell in a “procedural thicket.”
In 2012, the Supreme Court decided "Martinez," holding that when a state limits the consideration of ineffective assistance of trial counsel claims to collateral review, a habeas petitioner may establish cause for procedural default if state post-conviction counsel was ineffective under Strickland and the underlying claim has “some merit.” The holding changed prior law--that post-conviction counsel’s “ignorance or inadvertence in a post-conviction proceeding,” including failure to raise ineffective assistance of trial counsel claims, does not qualify as cause to excuse procedural default.
The Sixth Circuit then granted Mitchell a conditional writ of habeas corpus, concluding that “Martinez” enables Mitchell to show the necessary “cause,” and authorizes him to raise his underlying ineffective assistance of counsel claim and to seek redress through a Rule 60(b) motion.
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