Keough v. State
Annotate this CaseA jury convicted Petitioner of premeditated first degree murder and attempted first degree murder and imposed a sentence of death. Petitioner subsequently filed a pro se petition for post-conviction relief, alleging ineffective assistance of his trial counsel. Petitioner filed a motion asking the trial court to limit any cross-examination of Petitioner, asserting his constitutional right against self-incrimination. The post-conviction trial court denied the request, and Petitioner did not testify. The court of criminal appeals affirmed, holding that Petitioner's right against self-incrimination applies in the post-conviction context, but a petitioner who elects to testify is bound to answer relevant questions on cross-examination. The Supreme Court declined to decide whether and in what manner the constitutional right against self-incrimination applies in the post-conviction context and instead resolved the appeal on non-constitutional grounds. The Court vacated the trial court and court of criminal appeals, holding (1) the scope of cross-examination of a post-conviction petitioner is governed by Tenn. Sup. Ct. R. 28, 8(C)(1)(d); and (2) the lower courts deprived Petitioner of the limited scope cross-examination provided in Rule 28. Remanded for a new post-conviction hearing.
Court Description: Authoring Judge: Chief Justice Cornelia A. Clark
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