Stovall v. Denno
Encyclopedia
Stovall v. Denno, 388 U.S. 293 (1967), was a case decided by the Supreme Court of the United States
that held that a pretrial identification not covered by the Sixth Amendment
right to counsel
should be excluded if it was so unnecessarily suggestive as to violate due process
.
Stovall filed a petition of habeas corpus
, alleging that his Fifth, Sixth, and Fourteenth Amendment rights were violated. The Southern District of New York dismissed his petition, and Stovall appealed to the Second Circuit. A three judge panel reversed Stovall's conviction on the basis that Mrs. Behrendt's identification was made in violation of Stovall's Sixth Amendment right to counsel. The Second Circuit reheard the case en banc and affirmed the district court's dismissal of Stovall's petition. The Supreme Court granted certiorari.
and Gilbert v. California
, two cases dealing with the Sixth Amendment right to counsel in pretrial stages. The Court observed that the rule of Wade, where the absence of counsel at a post-indictment lineup was held to be a violation of the Sixth Amendment, would dictate the finding of a Sixth Amendment violation in the present case. The Court, however, held that the rule of Wade should not be applied retroactively. The Court noted that police departments had relied on Sixth Amendment jurisprudence as it was before Wade, and that the absence of counsel at the identification did not jeopardize Stovall's right to a fair trial seriously enough to justify retroactive application.
Even without application of the Wade rule, Stovall could prevail if he could show that his due process rights under the Fourteenth Amendment were violated. The due process test as described by the Court was that Stovall could prevail if the identification procedure was "so unnecessarily suggestive and conducive to irreparable mistaken identification that he was denied due process of law." The Court held that the identification procedure, though suggestive, was necessary because of Mrs. Behrendt's injured state and affirmed Stovall's conviction.
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Supreme Court of the United States
The Supreme Court of the United States is the highest court in the United States. It has ultimate appellate jurisdiction over all state and federal courts, and original jurisdiction over a small range of cases...
that held that a pretrial identification not covered by the Sixth Amendment
Sixth Amendment to the United States Constitution
The Sixth Amendment to the United States Constitution is the part of the United States Bill of Rights which sets forth rights related to criminal prosecutions...
right to counsel
Right to counsel
Right to counsel is currently generally regarded as a constituent of the right to a fair trial, allowing for the defendant to be assisted by counsel , and if he cannot afford his own lawyer, requiring that the government should appoint one for him/her, or pay his/her legal expenses...
should be excluded if it was so unnecessarily suggestive as to violate due process
Due process
Due process is the legal code that the state must venerate all of the legal rights that are owed to a person under the principle. Due process balances the power of the state law of the land and thus protects individual persons from it...
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Factual background
Dr. Paul Behrendt was stabbed to death on August 23, 1961. Dr. Behrendt's wife was injured in the attack. A shirt and keys left at the scene led to Theodore Stovall's arrest on August 24, 1961. After Mrs. Behrendt underwent surgery, Stovall was brought to her hospital room on the afternoon of August 25, 1961. Stovall had not yet been appointed counsel. Mrs. Behrendt identified Stovall as her attacker. Stovall was convicted and sentenced to death. The New York Court of Appeals affirmed Stovall's conviction.Stovall filed a petition of habeas corpus
Habeas corpus
is a writ, or legal action, through which a prisoner can be released from unlawful detention. The remedy can be sought by the prisoner or by another person coming to his aid. Habeas corpus originated in the English legal system, but it is now available in many nations...
, alleging that his Fifth, Sixth, and Fourteenth Amendment rights were violated. The Southern District of New York dismissed his petition, and Stovall appealed to the Second Circuit. A three judge panel reversed Stovall's conviction on the basis that Mrs. Behrendt's identification was made in violation of Stovall's Sixth Amendment right to counsel. The Second Circuit reheard the case en banc and affirmed the district court's dismissal of Stovall's petition. The Supreme Court granted certiorari.
Majority opinion
Stovall was decided on the same day as United States v. WadeUnited States v. Wade
United States v. Wade, 388 U.S. 218 was a case decided by the Supreme Court of the United States that held that a criminal defendant has a Sixth Amendment right to counsel at a lineup held after indictment.-Factual background:...
and Gilbert v. California
Gilbert v. California
Gilbert v. California, 388 U.S. 263 , was an important decision of the Supreme Court of the United States, which was argued February 15–16, 1967, and decided June 12, 1967....
, two cases dealing with the Sixth Amendment right to counsel in pretrial stages. The Court observed that the rule of Wade, where the absence of counsel at a post-indictment lineup was held to be a violation of the Sixth Amendment, would dictate the finding of a Sixth Amendment violation in the present case. The Court, however, held that the rule of Wade should not be applied retroactively. The Court noted that police departments had relied on Sixth Amendment jurisprudence as it was before Wade, and that the absence of counsel at the identification did not jeopardize Stovall's right to a fair trial seriously enough to justify retroactive application.
Even without application of the Wade rule, Stovall could prevail if he could show that his due process rights under the Fourteenth Amendment were violated. The due process test as described by the Court was that Stovall could prevail if the identification procedure was "so unnecessarily suggestive and conducive to irreparable mistaken identification that he was denied due process of law." The Court held that the identification procedure, though suggestive, was necessary because of Mrs. Behrendt's injured state and affirmed Stovall's conviction.
Douglas' dissent in part
Justice Douglas dissented from the Court's refusal to retroactively apply the rule of Wade to find a Sixth Amendment violation.Fortas' dissent
Justice Fortas asserted that the identification of Stovall was a violation of due process rights and that the case should be reversed and remanded. Fortas would not have reached the issue of the retroactive application of Wade.White's concurrence in part
Justice White, joined by Justices Harlan and Stewart, wrote separately to emphasize that there was no Sixth Amendment violation.Black's dissent
Justice Black dissented from the Court's refusal to retroactively apply Wade. Black also dissented from the Court's holding that a defendant can mount a due process challenge to their conviction in the absence of a violation of a specific Amendment. Black would reverse and remand to determine if the admission of the lineup without counsel was harmless error.Subsequent history
The holding of Stovall that refused to apply the rule of Wade retroactively was overruled in Griffith v. KentuckyGriffith v. Kentucky
Griffith v. Kentucky, 479 U.S. 314 , is a case decided by the United States Supreme Court.-Background:This case concerned the retrospective application of judge-made rules...
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Impact
Until its overruling in Griffith, Stovall, along with the case Linkletter v. Walker, established a three factor test for determining if a law should be applied retroactively that examined purpose, reliance, and effect. Lawyers, judges, and academics fashioned rules based on the Linkletter/Stovall test to encourage predictability and fairness in the retroactive application of new precedents.See also
- United States v. WadeUnited States v. WadeUnited States v. Wade, 388 U.S. 218 was a case decided by the Supreme Court of the United States that held that a criminal defendant has a Sixth Amendment right to counsel at a lineup held after indictment.-Factual background:...
- Gilbert v. CaliforniaGilbert v. CaliforniaGilbert v. California, 388 U.S. 263 , was an important decision of the Supreme Court of the United States, which was argued February 15–16, 1967, and decided June 12, 1967....
- List of United States Supreme Court cases, volume 388