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Keeney v. Tamayo-Reyes

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Keeney v. Tamayo-Reyes
Decided May 4, 1992
Full case nameKeeney v. Tamayo-Reyes
Citations504 U.S. 1 (more)
Holding
A cause-and-prejudice standard, rather than Fay v. Noia's deliberate bypass standard, is the correct standard for excusing a habeas corpus petitioner's failure to develop a material fact in state-court proceedings.
Court membership
Chief Justice
William Rehnquist
Associate Justices
Byron White · Harry Blackmun
John P. Stevens · Sandra Day O'Connor
Antonin Scalia · Anthony Kennedy
David Souter · Clarence Thomas
Case opinions
MajorityWhite
DissentO'Connor, joined by Blackmun, Stevents, Kennedy
DissentKennedy
This case overturned a previous ruling or rulings
Townsend v. Sain

Keeney v. Tamayo-Reyes, 504 U.S. 1 (1992), was a United States Supreme Court case in which the Court held that a cause-and-prejudice standard, rather than Fay v. Noia's deliberate bypass standard, is the correct standard for excusing a habeas corpus petitioner's failure to develop a material fact in state-court proceedings.[1] This decision increased the deference that federal courts are supposed to give to the record in underlying state court proceedings when evaluating habeas petitions.[2]

References

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  1. ^ Keeney v. Tamayo-Reyes, 504 U.S. 1 (1992)
  2. ^ Smith, Christopher E. (1995). "Federal Habeas Corpus Reform: The State's Perspective". The Justice System Journal. 18 (1): 4. ISSN 0098-261X.
[edit]

This article incorporates written opinion of a United States federal court. As a work of the U.S. federal government, the text is in the public domain. "[T]he Court is unanimously of opinion that no reporter has or can have any copyright in the written opinions delivered by this Court." Wheaton v. Peters, 33 U.S. (8 Pet.) 591, 668 (1834)