Gonzalez v. State

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The Supreme Court affirmed the postconviction court’s summary denial of Appellant’s claims of ineffective assistance of counsel, holding that the postconviction court properly denied the claims.Appellant was sentenced to death for the murders of Byrd and Melanie Billings. Appellant filed an amended motion for postconviction relief pursuant to Fla. R. Crim. P. 3.851, which included a claim for relief pursuant to Hurst v. Florida, 136 S. Ct. 616 (2016), and Hurst v. State, 202 So. 3d 40 (Fla. 2016). The postconviction court summarily denied relief on Appellant's ineffective assistance of counsel claims but granted a new penalty phase based on his Hurst claim. The Supreme Court affirmed, holding (1) the record positively refuted Appellant’s claim ineffective assistance of counsel for failing to renew his motion for change of venue; and (2) the postconviction court properly denied Appellant's claim of ineffective assistance of counsel for failing to challenge the indictment as legally insufficient. View "Gonzalez v. State" on Justia Law