Fields v. Gilley, No. 22-2762 (7th Cir. 2024)
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Sherman Fields, a federal prisoner, filed a petition for a writ of habeas corpus under 28 U.S.C. § 2241, which was dismissed by the district court. Fields was previously convicted of multiple crimes, including murder and carjacking, after escaping from federal custody. He was sentenced to death on one count and to imprisonment on others. Fields sought relief through various motions under 28 U.S.C. § 2255, which were denied, and his convictions and sentence were affirmed on direct appeal by the Fifth Circuit.
Fields later filed a habeas petition under § 2241 in the Southern District of Indiana, where he was imprisoned. The district court stayed the proceedings pending Supreme Court decisions in related cases. Following these decisions, Fields filed another § 2255 motion, which led to the vacating of his death sentence and resentencing to life imprisonment. The district court then dismissed his § 2241 petition, holding that Fields failed to demonstrate that § 2255 was inadequate or ineffective to test the legality of his detention, as required by § 2255(e).
On appeal, Fields argued that § 2255 was inadequate to address his claim of judicial bias. The United States Court of Appeals for the Seventh Circuit reviewed the case and referenced the Supreme Court's decision in Jones v. Hendrix, which clarified the relationship between § 2241 and § 2255. The court held that § 2255 is not inadequate or ineffective simply because a prisoner cannot meet the standards for a successive motion under § 2255(h). The court found that Fields had already presented his claims of judicial bias in his § 2255 motions, which were denied on the merits.
The Seventh Circuit affirmed the district court's decision, concluding that Fields could not pursue his claims under § 2241 because he failed to meet the requirements of the saving clause in § 2255(e). The court emphasized that the inability to meet the standards for a successive § 2255 motion does not render § 2241 available for such claims.
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