History
  • No items yet
midpage
People v. English
2010 Ill. App. LEXIS 1339
Ill. App. Ct.
2010
Read the full case

Background

  • Anthony English was convicted of first‑degree murder in the Lewis case and sentenced to natural life in prison in 1997.
  • Brown, a defense witness, was not in court at trial; defense requested a continuance which the trial court denied.
  • English filed a pro se postconviction petition; appellate court remanded for a third‑stage evidentiary hearing to address Brown’s affidavit.
  • At the third stage, Brown testified but was found not credible; Cole testified with conflicting statements and later recanted parts.
  • The trial court found both Brown and Cole not credible; the postconviction petition was dismissed, which English challenged on appeal.
  • This court reviews third‑stage credibility determinations under a manifest‑weight standard and affirms the dismissal.

Issues

Issue Plaintiff's Argument Defendant's Argument Held
Whether the third‑stage dismissal was manifestly erroneous People argues credibility supports dismissal English contends new witness testimony undermines credibility Not manifestly erroneous; credibility determinations upheld
Whether new evidence at third stage creates a substantive constitutional violation People asserts no prejudicial or constitutional violation from credibility issues English asserts a due process/view of evidence requirement was violated No substantial constitutional violation shown
Whether the standard of review was correctly applied People contends manifest‑weight review applies due to credibility findings English argues appropriate de novo or other standard should apply Manifest‑weight standard properly applied
Whether the postconviction proceedings complied with the three‑stage framework People maintains all stages were properly followed English claims procedural missteps could affect outcome Procedural framework properly followed; no error shown
Whether Brown’s and Cole’s recantations undermined the original verdict People emphasizes need to rely on trial evidence and credibility findings English argues recantations could exonerate or cast doubt on verdict Recantations did not render verdict unreliable; dismissal affirmed

Key Cases Cited

  • People v. Pendleton, 223 Ill. 2d 458 (2006) (standard for third‑stage deference to credibility findings)
  • People v. Beaman, 229 Ill. 2d 56 (2008) (manifest‑weight review framework for postconviction credibility)
  • People v. Perkins, 229 Ill. 2d 34 (2007) (Rule 651(c) duties and untimely petitions; reliance on merits)
  • People v. Coleman, 183 Ill. 2d 366 (1998) (second‑stage dismissal limits fact‑finding; reliance on record)
  • People v. Calderon, 336 Ill. App. 3d 182 (2002) (credibility determinations belong to trial court in third stage)
Read the full case

Case Details

Case Name: People v. English
Court Name: Appellate Court of Illinois
Date Published: Dec 17, 2010
Citation: 2010 Ill. App. LEXIS 1339
Docket Number: 1-09-1449 Rel
Court Abbreviation: Ill. App. Ct.