Griffith v. Kentucky
From Wikipedia, the free encyclopedia
Griffith v. Kentucky | ||||||||||
---|---|---|---|---|---|---|---|---|---|---|
Supreme Court of the United States | ||||||||||
Argued February 14, 1986 Decided January 13, 1987 |
||||||||||
|
||||||||||
Holding | ||||||||||
The Court held that after a new rule had been decided in a particular case, "the integrity of judicial review requires that we apply that rule to all similar cases pending on direct review." | ||||||||||
Court membership | ||||||||||
Chief Justice: William Rehnquist Associate Justices: William J. Brennan, Jr., Byron White, Thurgood Marshall, Harry Blackmun, Lewis F. Powell, Jr., John Paul Stevens, Sandra Day O'Connor, Antonin Scalia |
||||||||||
Case opinions | ||||||||||
Majority by: Blackmun Joined by: Marshall, Powell Jr., Stevens, Scalia Concurrence by: Powell Dissent by: Rehnquist Dissent by: White Joined by: Rehnquist, O'Connor |
||||||||||
Laws applied | ||||||||||
U.S. Const. Amend. XIV |
Griffith v. Kentucky, 479 U.S. 314 (1986), is a case decided by the United States Supreme Court.
Contents |
[edit] Background
This case concerned the retrospective application of judge-made rules. Specifically, the Court had to decide whether a prosecutor's use of peremptory challenges to exclude black jurors, combined with his call to the jury clerk, violated the black petitioner's right to an impartial jury. The Court was called upon to decide whether the previous decision in Batson v. Kentucky was applicable to pending litigation but not final when Batson was decided. This case was decided together with Brown v. United States.
[edit] Question
Could retroactive Supreme Court decisions be applied selectively to cases pending direct review or not yet final?
[edit] Holding
The Court held that after a new rule had been decided in a particular case, "the integrity of judicial review requires that we apply that rule to all similar cases pending on direct review." The Court reasoned that selective application of new rules violated the principle of treating similarly situated defendants on an equal basis. The Court also refused to make an exception to the rule of retroactivity in cases where there was a "clean break" with past precedent.
[edit] See also
[edit] External links
- U.S. Supreme Court ruling and dissent from Oyez.org
- Full Text of the Majority Opinion and the Concurring Opinion