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United States v. Anton Lemar Dames
697 F. App'x 648
11th Cir.
2017
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Background

  • Anton Dames filed three post-conviction motions seeking production of Brady material and witness statements and alleging multiple constitutional violations related to his arrest, prosecution, and trial counsel’s conduct.
  • His claims included: nondisclosure of Brady evidence; Fourth, Fifth, and Sixth Amendment violations from wrongful arrest and prosecution; Confrontation Clause claim for failure to call a confidential informant; and conflicts/conspiracy involving his trial attorney and the informant.
  • The district court treated the filings as motions challenging his sentence and dismissed them for lack of jurisdiction as successive § 2255 motions.
  • Dames previously filed a § 2255 motion in 2014 and did not obtain the required appellate-court certification to file a successive § 2255 motion under 28 U.S.C. § 2244(b)(3)(A).
  • The Eleventh Circuit reviews jurisdictional questions de novo and requires the movant to establish federal subject-matter jurisdiction. The court agreed that § 2255 is the appropriate vehicle for these claims but was unavailable because Dames had not obtained permission to file a successive motion.

Issues

Issue Plaintiff's Argument Defendant's Argument Held
Proper procedural vehicle for claims (jurisdiction) Dames sought discovery and relief via post-conviction motions and sought production of Brady material and other remedies Gov't argued claims must be pursued under § 2255 and Dames already filed a prior § 2255, so a successive motion needs appellate permission Court: Claims are properly raised under § 2255 but Dames did not obtain required certification; district court lacked jurisdiction over unauthorized successive § 2255 motions
Request for production of documents Dames requested production of Brady and witness statements Gov't: no jurisdictional vehicle presented for discovery; seizure of remedy into § 2255 framework Court: No jurisdictional basis offered for document production; request not entertained
Challenge to sentence and conviction (successive attack) Dames challenged constitutionality of arrest, prosecution, counsel, and evidentiary issues Gov't: These are collateral attacks on sentence requiring § 2255 and appellate authorization for successive petitions Court: Motion is an unauthorized successive § 2255; district court correctly dismissed for lack of jurisdiction
Confrontation Clause / Brady / counsel misconduct claims Dames alleged failure to call informant, withheld Brady evidence, and counsel conspiracy/conflict Gov't: Substantive merits not reached because procedural jurisdiction lacking; claims must be in authorized § 2255 Court: Did not reach merits; dismissed for lack of jurisdiction as successive § 2255

Key Cases Cited

  • Williams v. Chatman, 510 F.3d 1290 (11th Cir.) (standard: de novo review of jurisdictional questions)
  • United States v. Al-Arian, 514 F.3d 1184 (11th Cir.) (appellate courts must examine subject-matter jurisdiction)
  • Sweet Pea Marine, Ltd. v. APJ Marine, Inc., 411 F.3d 1242 (11th Cir.) (burden of establishing federal subject-matter jurisdiction rests with the claimant)
  • Farris v. United States, 333 F.3d 1211 (11th Cir.) (district court lacks jurisdiction to entertain unauthorized successive § 2255 motions)
  • Brady v. Maryland, 373 U.S. 83 (U.S.) (obligation to disclose exculpatory evidence)
Read the full case

Case Details

Case Name: United States v. Anton Lemar Dames
Court Name: Court of Appeals for the Eleventh Circuit
Date Published: Sep 8, 2017
Citation: 697 F. App'x 648
Docket Number: 17-11482 Non-Argument Calendar
Court Abbreviation: 11th Cir.