Taylor v. State
Annotate this CasePetitioner entered best interest guilty pleas to attempted first degree murder, second degree murder, and especially aggravated robbery. Petitioner later filed a petition for post-conviction relief, claiming ineffective assistance of counsel and that his guilty pleas were not knowingly and voluntarily made. Petitioner requested that the post-conviction court issue subpoenas for his three co-defendants, who were incarcerated at the time, to testify at the post-conviction hearing. The post-conviction court granted the State’s motion to quash because the defendants were incarcerated. After a subsequent hearing, the post-conviction court denied post-conviction relief. The court of criminal appeals concluded that the post-conviction court erred in refusing to allow Petitioner to present witnesses in support of his claims, but that the error was harmless. The Supreme Court reversed, holding that the post-conviction court committed prejudicial error by applying an incorrect legal standard and by overlooking the relationship between the proffered testimony and Petitioner’s claim of ineffective assistance of counsel. Remanded.
Court Description: Authoring Judge: Chief Justice Gary R. Wade
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