John Lawrence Daniels, a Minnesota prisoner convicted of first-degree and attempted murder,
see State v. Daniels,
The contradictory testimony in this case suggests the following basic outline of the events immediately preceding the charged crimes. Daniels and a person known as “Hollywood” were passengers in a blue Cadillac driven by Robyn Amos. They were chasing a black Lincoln in which Michael Palmer was a passenger. When the Lincoln struck a vehicle in an intersection, Palmer jumped from the Lincoln, ran down the street, and dived through the open win *197 dow of a passing car. Palmer was pursued by Daniels and Hollywood, and shots were fired. The first shot hit and killed Alonzo Bridges, the driver of the passing car, while the succeeding shots injured Palmer. Daniels and/or Hollywood then returned to the blue Cadillac, and when that car ultimately crashed into a building, its occupants fled.
The jury during deliberations sought to review the testimony of two witnesses regarding the number and descriptions of the persons fleeing the Cadillac after it crashed and the number of car doors left open when those persons fled. Daniels asserts this testimony was crucial to his case because by his theory only Hollywood returned to the Cadillac and ultimately fled the crashed vehicle with Amos. Thus, Daniels concludes, he was denied due process when the trial court failed to reread for the jury the relevant passages of testimony.
As Daniels recognizes by framing his argument as one for due process, "{i]t is axiomatic that federal courts may intervene in the state judicial process only to correct wrongs of a constitutional dimension." Wainwright v. Goode,
Assuming the trial court committed error by failing to read the requested passages of testimony to the jury (and in failing to review the testimony before ruling~ on the jury's request), we believe Daniels overestimates the importance of the crash of the Cadillac to his case. Daniels by his own testimony placed himself with Hollywood at Bridges' car when Bridges was shot, and there is no evidence that makes returning to the Cadillac dispositive of which of Daniels and Hollywood pulled the trigger. In addition, Palmer testified that Daniels had been the actual gunman, and no version of the events following the shootings undermines this testimony. Any error by the trial court in failing to allow the jury to review the requested testimony did not so fatally infect the entire trial that the resulting conviction violated due process.
Daniels asserts he was also denied due process when the prosecutor during closing argument stated that Daniels had a predisposition to lie and suggested that Daniels knowingly relied on questionable testimony when he called as a defense witness Donna Barrow, who initially was to have testified for the prosecution. Daniels stresses that the prosecutor's comments were not invited by improper conduct by his defense attorney. See United States v. Young,
The "invited response" rule, however, merely formalizes for a particular trial setting the concept that challenged statements must be viewed in context in determining whether prosecutorial misconduct amounted to prejudicial error. Id. at 11, 12,
As observed by the Minnesota Supreme Court on direct appeal, the prosecutor’s comments regarding Daniels’ predisposition for untruthfulness relied on a permissible inference from Daniels’ trial testimony, in which Daniels admitted past lies.
See Daniels,
A failure by a prosecutor to disclose upon request evidence favorable to the defense violates due process if the evidence was material to guilt.
Brady v. Maryland,
Evidence is “material” for the purposes of
Brady
if there is “a reasonable probability that, had the evidence been disclosed to the defense, the result of the proceeding would have been different.”
United States v. Bagley,
First, Ragland denied making the statements to police, and the court, on Daniels’ objection, cut off further questioning. In addition, Daniels stipulated that after the shootings he left Minnesota to avoid arrest, and Ragland independent of her statements to police testified Daniels left Sioux City, Iowa, just before arrest because he knew police had discovered his identity. Any benefit to the prosecution from its cross-examination of Ragland based on the police report was mostly cumulative, and thus a decision not to call Ragland would not have resulted in a material difference in the defense position. Daniels was not denied due process by the prosecution’s failure to disclose evidence under Brady.
Finally, Daniels is entitled to habe-as relief on his insufficient evidence claim only if “upon the record evidence adduced at the trial no rational trier of fact could have found proof of guilt beyond a reasonable doubt.”
Jackson v. Virginia,
Finding no violations of due process, we affirm the denial of Daniels’ petition for habeas corpus.
