Justia Constitutional Law Opinion Summaries
Articles Posted in Mississippi Supreme Court
Grim v. Mississippi
Frederick Denell Grim was convicted by jury for the sale of cocaine. The circuit judge adjudicated Grim a habitual offender and sentenced him to life imprisonment without the possibility of parole. The Supreme Court granted Grim's petition for writ of certiorari to examine whether the trial court erred by allowing a laboratory supervisor, who neither observed nor participated in the testing of the substance, to testify in place of the analyst who had performed the testing. Finding no error, the Court affirmed. View "Grim v. Mississippi" on Justia Law
In Re: Thomas Corey McDonald and Edwin Cheshire
Concerned with the sufficiency of process in multiple paternity and child-support cases, Chancellor D. Neil Harris conducted a hearing in which he found an individual process-server, Guy Jernigan; a notary, Thomas McDonald; and an owner of a process service company, Edwin Chesire (collectively, "Defendants"), to be in civil contempt of court for causing the filing of false proof-of-service affidavits. Ten days after the initial contempt hearing, the chancellor held a "sentencing hearing" in which he made all the Defendants jointly and severally liable for $88,500 in sanctions, required Jernigan and McDonald to issue written apologizes to the other chancellors in the Sixteenth Chancery Court District, and banned them from ever again serving process or notarizing documents for the Sixteenth Chancery Court District. The chancellor further ordered all the Defendants to be incarcerated every weekend until the reimbursements were received and the apologizes were made. The Supreme Court subsequently found that the judgments were for constructive criminal contempt, as opposed to civil contempt. Thus, Chancellor Harris was bound by the additional due-process safeguards which govern constructive criminal contempt proceedings and erred by neither recusing himself from the proceedings nor notifying the Defendants of the specific criminal charges against them. The Court vacated the contempt judgments on these procedural grounds and remanded the case to the Jackson County Chancery Court for further proceedings.
View "In Re: Thomas Corey McDonald and Edwin Cheshire" on Justia Law
Rowland v. Mississippi
Robert Rowland appealed a circuit court judgment that denied his motion for post-conviction collateral relief. Rowland claimed that he was placed in double jeopardy when he was convicted on two counts of armed robbery and two counts of capital murder for killing while engaged in the commission of those same two armed robberies. Upon review, the Supreme Court agreed, and vacated Rowland's separate armed-robbery convictions and sentences and reversed the circuit court denying Rowland's petition for post-conviction relief.
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Jenkins v. Mississippi
Robert Lee Jenkins was convicted for possession of a controlled substance. He was sentenced to life imprisonment under the habitual-offender statute. On appeal, The Supreme Court granted Jenkins's petition for writ of certiorari to examine whether the trial court erred by allowing a laboratory supervisor to testify regarding the results of substance testing, where the supervisor reviewed and verified the results, but another analyst actually performed the tests. Finding no error, the Court affirmed.
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Young v. Mississippi
In the summer of 2008, Lonnie Young shot and killed his wife's lover at a family reunion. Young was convicted of murder and sentenced to life in prison. Young raised four issues on appeal. The Court of Appeals affirmed and the Supreme Court granted certiorari to consider: (1) whether the trial court should be reversed for denying Young an opportunity to impeach a witness; (2) and/or for denying Young's imperfect-self-defense jury instruction. The Court agreed with the Court of Appeals in finding that, although the trial court erred in denying Young the opportunity fully to impeach defense witness Shakitay Harris, this error was harmless. The Court found no error in the trial court's denial of Young's imperfect-self-defense jury instruction. Therefore, the Court affirmed the judgments of the Court of Appeals and Circuit Court.
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Mosley v. Mississippi
Defendant James Wayland Mosley was sentenced to a total of 126 years in the custody of the Mississippi Department of Corrections (MDOC) after a jury convicted him on one count of selling cocaine, one count of selling methamphetamine, and one count of selling marijuana (less than thirty grams). Mosley appealed the sentence to the Supreme Court claiming that the trial court’s sentencing order is disproportionate to the crimes he committed and violated his constitutional protections against cruel and unusual punishment. Because the Court found that the trial court did not abuse its discretion, Mosley’s sentences were neither disproportionate to the crimes he committed nor outside the limits prescribed by statute, the Court affirmed the trial court’s sentencing order.
View "Mosley v. Mississippi" on Justia Law
Bryant v. Westbrooks
Latrice Westbrooks filed a Qualifying Statement of Intent with the Secretary of State's Office to declare her intent to be a candidate for the office of Court of Appeals of the State of Mississippi, District 2, Position 2. The State Board of Election Commissioners in a unanimous vote, determined that Westbrooks did not meet the qualifications to seek election. Westbrooks sought judicial review, and the circuit court entered an Order Granting Permanent Injunction and Order Granting Declaratory Judgment. The circuit court ordered the Board immediately to add Westbrooks's name to the ballot as a candidate for the office. Aggrieved, the Board appealed to the Supreme Court via a Bill of Exceptions and a Notice of Appeal. Upon review, the Court found that Westbrooks did not meet the residency requirement. Therefore, the circuit court erred in finding that Westbrooks was a qualified candidate for the position as required for candidacy. The circuit court's Order Granting Permanent Injunction and Order Granting Declaratory Judgment was vacated. View "Bryant v. Westbrooks" on Justia Law
Hawkins v. Mississippi
Glenn Wane Hawkins was convicted by a jury of murdering his girlfriend, Rita Fair, and given a mandatory life sentence. Hawkins timely filed a direct appeal to the Supreme Court, claiming that the evidence was insufficient to support a conviction. Hawkins also raised issues regarding a jury instruction which outlined the distinctions between depraved heart murder and culpable negligence manslaughter. Finding no error, the Supreme Court affirmed his conviction and sentence.
Corr v. Mississippi
Mississippi Department of Human Services ("DHS") retained a law firm for a large number of paternity and child-support cases. The law firm contracted process-service companies to serve defendants in the DHS cases. Individual process servers were instructed to serve process on a defendant, complete a proof-of-service affidavit, and send it to the owners of the process-service companies. In four cases, the DHS defendants testified that they had not been served personally. The chancellor then issued show-cause orders for a hearing and issued subpoenas instanter, requiring the process servers (the appellants in this case) to appear and demonstrate why they should not be held in contempt for failing to serve process as set forth in their proof-of-service affidavits and for signing the affidavits outside the notary's presence. Appellants directly appealed criminal contempt orders for failing to serve or improperly serving process on defendants in paternity and child-support proceedings and for notarizing proof-of-service affidavits outside the presence of the affiants. The chancellor initially found Appellants in civil contempt and ordered a sentencing hearing. However, after conducting that hearing, he proceeded to hold all in direct criminal contempt. Appellants submitted, and the State conceded, that the alleged conduct was not direct criminal contempt, but constructive criminal contempt. Upon review, the Supreme Court concluded that because the conduct was not civil contempt or direct criminal contempt, the chancellor should have recused himself from the proceedings. The Appellants were entitled to the due-process safeguards required for constructive criminal contempt proceedings. Accordingly, the Court reversed the contempt judgments and remanded the cases for entry of an order of recusal, and for further proceedings.
Tanfield Engineering Systems, Inc. v. Thornton
Peggy Thornton filed a wrongful death action in 2007 against Woodall Electric Company, Inc. (her deceased husband's employer), as well as several fictitious defendants. Thornton later added Defendants Tanfield Group, PLC, Tanfield Engineering Systems, Inc. ("Tanfield Engineering"), and Bidgood Enterprises, Inc. After having served Tanfield Group, Thornton had an alias summons issued for Tanfield Engineering and served Tanfield Engineering via certified mail. Tanfield Engineering filed a Motion to Dismiss the First Amended Complaint based on the plaintiff's failure to serve process, pursuant to Mississippi Rule of Civil Procedure 12(b)(4)-(5). Thornton's response to the motion contended that Tanfield Group was the parent company of Tanfield Engineering; thus, according to Thornton, Tanfield Engineering had been put on notice of Thornton's claims because its parent company had been served in a timely manner. The trial court denied Tanfield Engineering's Motion to Dismiss based on a finding that Tanfield Engineering was an alter ego of Tanfield Group and that service upon Tanfield Group constituted effective service upon Tanfield Engineering. Tanfield Engineering filed a Petition for Interlocutory Appeal and a motion to stay proceedings in the trial court, both of which the Supreme Court granted. Upon review, the Court concluded that the trial court's decision was contrary to its precedent that classifies subsidiaries which are wholly owned by their parent corporations and share common officers with their parent corporations, as separate and distinct from their parent corporations. Accordingly, the Supreme Court vacated the court's order and remanded the case for further proceedings.