Johnny Lee Cronnon seeks habeas corpus relief from his Alabama conviction of first-degree murder. At trial Cronnon denied that he committed the gruesome murder of the fifteen-year-old victim. A jury found him guilty, and he drew a sentence of life imprisonment.
In this habeas corpus action Cronnon raises seven claims: (1) the improper use of eyewitness testimony derived from a suggestive pretrial photographic identification procedure, see
Simmons v. United States,
The district court considered on the merits only the third claim, the absence of *473 evidence. The court rejected that claim, finding constitutionally sufficient evidence of guilt. We have carefully reviewed the record and uphold the district court’s resolution of this issue.
The district court refused to adjudicate the other six claims, finding that Cronnon had failed to exhaust state remedies.
1
That view was apparently based on a reading of the Alabama Court of Criminal Appeals opinion, which dealt with sufficiency of the evidence.
See Cronnon v. State,
We therefore reverse the district court’s judgment and remand for consideration on the merits of Cronnon’s remaining claims.
Notes
. The court said the other claims either had not been exhausted or did not present federal questions. Some of the claims clearly present substantial federal questions. Others are less substantial, though whether a given practice is so unfair as to deny due process is always a question of federal constitutional law. At any rate, the key to the district court’s decision was clearly its finding of failure to exhaust.
. Cronnon unsuccessfully sought review by certiorari from the Alabama Supreme Court and from the United States Supreme Court.
See Cronnon v. State,
. In affirming Cronnon’s conviction, the Alabama Court of Criminal Appeals did not suggest that any of Cronnon’s claims were improperly presented. The court affirmed his conviction without qualification.
