Idaho v. Pizzuto
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Gerald Pizzuto, Jr., was convicted of two brutal murders and sentenced to death in
1986. After the Idaho Commission of Pardons and Parole voted 4-3 to recommend that Pizzuto’s death sentence be commuted to life without the possibility of parole, Idaho Governor Brad Little rejected the recommendation, thereby allowing Pizzuto’s death sentence to remain in effect. Pizzuto challenged the Governor’s action by filing an Idaho Criminal Rule 35(a) motion to correct his sentence, and a sixth petition for post-conviction relief. The district court granted both Pizzuto’s motion and petition after finding Idaho Code section 20-1016 was unconstitutional. The State appealed to the Idaho Supreme Court. Finding Idaho Code section 20-1016 was a constitutional expression of the authority granted to the Legislature, the Supreme Court determined the district court erred in granting both Pizzuto’s Rule 35(a) motion and his petition for post-conviction relief. “Both decisions were based on the erroneous grounds that Governor Little lacked authority to reject the Commission’s clemency recommendation because Idaho Code section 20-1016 is unconstitutional. … Because the 1986 amendment to Article IV, section 7, authorizes the legislature to govern the Commission’s commutation powers ‘by statute,’ and Idaho Code section 20-1016 is a proper expression of that authority, we reverse the district court’s orders and remand Pizzuto’s cases for further proceedings.”
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