Dixon v. Williams, Sr., et al., No. 10-17145 (9th Cir. 2014)
Annotate this CasePetitioner sought federal habeas relief on the basis that the district court improperly instructed the jury on self-defense in violation of his Fourteenth Amendment right to due process. The jury instruction should have read: "An honest but unreasonable belief in the necessity for self-defense" but the Nevada Supreme Court used "an honest but reasonable belief." The error reduced the State's burden for convicting petitioner of murder instead of voluntary manslaughter. The instruction was facially erroneous in regard to the kind of provocation for manslaughter. The court concluded that the error was not harmless. Accordingly, the court reversed the district court's denial of the petition for writ of habeas corpus and remanded with instructions.
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Court Description: Habeas Corpus. The panel reversed the district court’s denial of a 28 U.S.C. § 2254 habeas corpus petition challenging a jury instruction on self-defense. The trial court gave an inaccurate jury instruction that an honest but “reasonable” (instead of “unreasonable”) belief in the necessity for self-defense does not negate malice and does not reduce the offense from murder to manslaughter. The panel held that this error was not harmless, because the error reduced the State’s burden for convicting petitioner of murder instead of voluntary manslaughter, and improperly limited the jury’s consideration of the kind of provocation that could give rise to manslaughter, even if the other elements of manslaughter were established.
The court issued a subsequent related opinion or order on June 11, 2014.
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