Ramirez v. State
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After a jury trial, Appellant was found guilty of first-degree murder and sentenced to life imprisonment. Appellant filed a pro se application for postconviction relief alleging that he received ineffective assistance of counsel at trial. Appellant also filed a motion to appoint counsel. Counsel was appointed to investigate Appellant’s postconviction-relief claims in light of the Court’s holding in Shatney v. State. Counsel subsequently filed a Shatney report and requested that the court permit her to withdraw her appearance on Appellant’s claims of ineffective assistance of counsel. The trial court allowed counsel to withdraw from the case, and Appellant proceeded pro se on his postconviction relief claims. Following a hearing, the trial justice denied and dismissed Appellant’s application for postconviction relief. The Supreme Court vacated the judgment of the superior court, holding that the trial justice did not follow the appropriate procedure mandated by Shatney by not allowing Appellant an opportunity to be heard on the merits of his application before allowing the appointed attorney to withdraw. Remanded with directions to appoint counsel to Appellant in accordance with section R.I. Gen. Laws 10-9.1-5 for investigation and, if appropriate, litigation of Appellant’s allegations.
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