McHam v. South Carolina
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Defendant-Applicant Gregory McHam appealed the denial of his application for post-conviction relief. He contended that he received ineffective assistance of trial counsel because counsel failed to renew a motion to suppress drug evidence. Upon review, the Supreme Court concluded the PCR judge erred in finding defendant's trial counsel was not deficient, but that counsel's failure to renew the objection to drug evidence was not deficient performance such that defendant's constitutional rights were violated. However, the Court agreed with the PCR judge's ultimate findings that defendant did not establish prejudice and did not prove his claim for ineffective assistance of counsel as his Fourth Amendment claim failed on its merits. Consequently, the decision of the PCR judge was affirmed as modified.
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