Linkletter v. Walker (1964)

Docket
95
Decided
1964-01-01
Category
General

Summary

Question: Did the exclusionary rule established in Mapp v. Ohio apply retroactively? Conclusion: In a 7-to-2 decision, the Court held that the Constitution neither prohibited nor required "an absolute rule of retroaction." Only a case-by-case examination of the rules in question was required. The Court reasoned that police misconduct prior to Mapp had already occurred and would not be corrected by releasing the prisoners involved. The Court also argued that applying the Mapp decision retroactively to all cases would threaten the "delicate state-federal relationship" and would "tax the administration of justice to the utmost." Only cases on direct review at the time of the Mapp ruling or later cases would be subject to retroactive consideration.

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