People v. Hughes
Annotate this CaseDefendant was convicted of first-degree murder in the deaths of Coleman, a 68-year-old man shot multiple times at his Chicago home in a botched robbery in 2005, and Stanley, defendant’s alleged coconspirator, gunned down in an alley the next day. Defendant’s statements in taped police interrogation were admitted as evidence against him at trial, after he sought suppression of those statements, arguing they were involuntary due to police questioning him off-camera and without Miranda rights, and due to physical coercion from handcuffs kept on him an excessively long time. The appellate court concluded the confession should have been suppressed, due to doubts it was voluntary, based on defendant’s age (then 19), educational level, sleep and food deprivation, prior substance abuse, deceptive conduct by police, length of interrogation, coercive atmosphere, lack of experience with the criminal justice system, and use of marijuana while in custody. The Illinois Supreme Court remanded. While defendant adequately preserved the broad issue of voluntariness of his confession, his arguments on appeal were almost entirely distinct from his arguments before the trial court. The drastic shift in factual theories deprived the state of the opportunity to present evidence. A court of review could not be confident in the adequacy of this record to address those arguments.
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