Smith v. Cain (2011)
- Docket
- 10-8145
- Decided
- 2011-01-01
Summary
Question: Was there a reasonable probability that the outcome would have been different if the undisclosed witness statements were presented at trial? Did the State of Louisiana ignore due process by rejecting Smith's Brady claim? Conclusion: Yes and Yes. In an 8-1 decision Chief Justice John Roberts wrote the majority opinion reversing Smith's conviction and remanding the case to the district court. The Supreme Court held that because the eyewitness testimony was the only evidence linking Smith to the murders, the witness' statements to the police were material to the jury's decision. The Court noted that contradictory statements will not always be material if there is enough other evidence to sustain confidence in the verdict. The Court found it unnecessary to consider other the undisclosed evidence Smith discovered. Justice Clarence Thomas wrote a dissent, stating that the Court should have considered the cumulative effect of all of the evidence. Justice Thomas felt that the undisclosed statements are not enough to establish a "reasonable probability" that the jury would change its verdict.