In this petition for a writ of habeas corpus, Elisha Thomas, Jr. claims that, under the Supreme Court’s decision in
Batson v. Kentucky,
Background
Elisha Thomas, Jr. was convicted of rape in Mississippi state court. In a motion for new trial or judgment notwithstanding the verdict, Thomas claimed the prosecutor used his peremptory challenges to exclude blacks from the jury panel. The trial court denied the motion. The Mississippi Supreme Court affirmed the conviction on March 4,1987.
Thomas v. State,
Thomas filed a petition for a writ of habeas corpus in federal district court. Based on a magistrate’s findings and recommendations, the district court dismissed the petition. The only issue presented by Thomas in his appeal is whether, in the hearing in state court on Thomas’ post-trial motions, the prosecution met the burden of proof imposed by Batson in rebuttal to a prima facie case of racially discriminatory use of peremptory challenges.
Discussion
The evidentiary rule established in
Bat-son
does not enter the analysis of a defendant’s equal protection claim unless a timely objection is made to the prosecutor’s use of his peremptory challenges.
See Jones v. Butler,
In
Swain v. Alabama,
the Supreme Court held that a state’s purposeful exclusion of blacks from participating as jurors violates the Equal Protection Clause.
A timely objection and the corresponding opportunity to evaluate the circumstances of the jury selection process are essential to a trial court’s reasoned application of the limitations placed on peremptory challenges by the
Batson
holding. The decision to exercise a peremptory challenge, in contrast to a challenge for cause, is subjective; and, often, the reasons behind that decision cannot be easily articulated. Determining whether a prosecutor has acted discriminatorily in his use of a peremptory challenge depends greatly upon the observations of the presiding judge.
See Bat-son,
The Supreme Court’s decision giving retroactive effect to
Batson
in cases pending on direct appeal does not conflict with our determination that a timely objection is requisite to a
Batson
claim.
See Griffith v. Kentucky,
Batson
altered the evidentiary burden placed on a defendant by
Swain.
The case selected as the vehicle for establishing this new rule — a rule limiting but not eclipsing “the full peremptory character of the historic challenge,”
AFFIRMED.
