Jаmes Rose appeals the district court’s denial of his petition for habeas corpus. *401 He claims that he was denied due process of law when the trial court gave a jury instruction оn the burden of proof that was in violation of state law. For the reasons stated below, we reverse the district court and grant the writ of habeas corpus.
I.
The facts in this case are undisрuted. On March 16, 1983, Rose shot and killed Tommy Mays. That morning Rose and Mays argued for some time and Mays made threatening statements to Rose. Their paths crossed that afternoon when Rose pullеd his car next to Mays, who was walking along the side of the road. The two began to argue and as tempers flared, Rose shot Mays twice, killing him.
In October 1983, a Circuit Court of St. Clair County, Illinois convicted Rоse in a jury trial of murder and armed violence and acquitted him of voluntary manslaughter. Rose attempted to prove at trial that he believed the shooting was justified because he feаred for his life. The court instructed the jury on murder and voluntary manslaughter according to the Illinois pattern jury instructions then applicable. These included an instruction stating that the jury could not cоnvict Rose of voluntary manslaughter unless the State proved that Rose held an unreasonable belief at the time of the shooting that his actions were justified. The court did not instruct the jury that to сonvict Rose for murder, the State was required to prove beyond a reasonable doubt that Rose lacked a belief that circumstances justified or exonerated the killing.
Rose оbjected to the murder instruction on grounds not relevant to this appeal and did not object to the voluntary manslaughter instruction or the burden of proof for voluntary manslaughter. On appеal, Rose argued that the jury instructions violated state law and the due process clause. The Illinois Appellate Court noted that Rose had waived his arguments because he had not objected to the instructions at trial. The court went on, however, to address the merits, holding that under
People v. McGee,
Rose then filed a petition for a writ of habeas corpus in federal district court, real-leging that the jury instructions viоlated the due process clause. The district court held that Rose had procedurally defaulted by not objecting to the instruction at trial. Rose appeals the denial of the writ.
After the district court’s decision in this case, the Illinois Supreme Court decided
People v. Reddick,
The Illinois Supreme Court invalidated the instructions and reversed the appellants’ convictions, holding that the instructions improperly allocated the burden of proof beсause they did not require the State to prove the nonexistence of circumstances that would reduce the crime to voluntary manslaughter. The court held that the Illinois Criminal Code of 1961 required the State to prove beyond a reasonable doubt that the voluntary manslaughter defense has no merit.
Rose now claims that because his jury instructions violated
Reddick,
he was denied due process.
1
He also argues that the
*402
jury instructions were fundamentally unfair because they precluded a finding of voluntary manslaughter. After argument, but before this decision, this Court decided
Falconer v. Lane,
II.
We turn first to procedural default. The district court held that federal review was foreclosed because Rose defaulted on his duе process claim when he did not offer an alternative instruction.
See Wainwright v. Sykes,
The district court, however, decided this case before
Harris v. Reed,
In
Rogers-Bey
we considered the situation where an Illinois appellate court finds an issue waived but goes on to consider the merits under a plain error analysis. We held that where the court reaches plain error, it must state clearly that it is reaching the plain error anаlysis only as an alternative to waiver.
2
“[T]he state court must not only rely on the procedural default, it must actually state that it is doing so and that other grounds are reached only in the alternative.”
Rogers-Bey,
We do not believe that in this case the Illinois court clearly and expressly stated that it relied on waiver to deny Rose’s claim. While the court did state that Rose failed to offer alternative jury instructions and that this was grounds for waiver, the court reached the merits under a plain error analysis and relied on
People v. McGee,
Moreover, under Illinois law, Rose would not be barred from bringing a Reddick claim on appeal even though he did not object at trial. The Illinois Supreme Court in Reddick invoked an exception to the state contemporaneous objection rule under facts similar to this case. The Reddick defendants also failed to object to the manslaughter instructions at trial. After stating the Illinois waiver rule, the court held that:
[I]f the interests of justice require, substantial defects in jury instructions in *403 criminal cases may be considered, even though the defendant has failed to make timely objections. This exception will be invoked to correct grave errors or to correct errors in cases so closely balanced that fundamental fairness requires that the jury be properly instructed.
The instant cases involve grave error.
Reddick,
The secоnd issue we must decide is whether the trial court’s constitutional error was harmless. We conclude that it was not. There was evidence that Rose believed he was acting in self-defense. The evidence indicated that Mays had been threatening Rose and was drunk and belligerent. Following an altercation with Rose that morning, Mays fired two shotgun blanks, threatening that he could shoot drunk as well as sober. This evidence indicates that with proper instructions, the jury might not have convicted Rose of murder.
Moreover, the instructions confused the jury. After some deliberation, the jury contaсted the bailiff and asked the following question in writing: “If a decision of Armed Violence is rendered and signed, does the charge of Murder also need to be signed? And must we find him not guilty of Voluntary Manslaughter?” The judgе responded in writing that the jury had to sign three verdicts, one each for murder, armed violence, and voluntary manslaughter. While this question could have a variety of implications, it indicates pоssible jury confusion over the manslaughter instructions and therefore contributes to our finding that the instructions were not harmless.
Finally,
Falconer
found that the instructions were inherently prejudicial because they misdirected the jury, holding that “[ejxplicit misdirection on this scale violates the constitutional guarantee of due process and demands a new trial or resen-tencing.”
III.
The denial of the writ of habeas corpus is Reversed. The writ of habeas corpus is granted unless the State of Illinois retries him within 120 days herefrom.
Notes
. There is a serious question concerning whether this issue is properly presented to this Court. The
Reddick
claim is not the same аs the due process claim he presented to the state courts.
Reddick
creates a federal claim through
In re Winship,
. Under Illinois law, Illinois courts need not reach the merits of a claim under the plain error doctrine after finding proсedural default.
Phillips v. Lane,
