Anderson v. Brookhart, No. 20-3330 (7th Cir. 2021)
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Anderson rode with Cooper and Jackson to a Chicago sandwich shop. The trio entered the shop. Inside were customers Hazziez and Hart and several cooks, behind a glass wall. While waiting for food, Jackson sold two dime bags of crack cocaine to an unknown person outside the shop. Hart confronted Anderson’s group, stating it wasn’t their turf and they shouldn’t be selling drugs there. The argument moved outside. Anderson shot Hart three times. Hazziez, having witnessed the shooting, jumped in his car and took off. As Hazziez drove away, he heard three more shots.
Anderson was convicted of first-degree murder of Hart, attempted first-degree murder of Hazziez, and aggravated discharge of a firearm in the direction of a vehicle occupied by Hazziez. His first-degree murder conviction was affirmed. Because of an erroneous jury instruction, the attempted murder conviction was reversed. The court entered judgment on the aggravated discharge of a firearm count. The Illinois Appellate Court affirmed. Anderson then sought federal habeas relief, challenging the sufficiency of the evidence for his aggravated-discharge conviction. The Seventh Circuit affirmed the denial of relief. The Illinois Appellate Court reasonably applied U.S. Supreme Court precedent in upholding Anderson’s conviction by pointing to trial testimony supporting an inference that Anderson was shooting at Hazziez.
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