The State of Texas appeals and moves to vacate the stay imposed by the district court on the execution of Clarence Lackey, a Texas death row inmate. The district court stayed the execution on the basis that reasonable jurists would disagree on the application of the abuse-of-the-writ doctrine, and the non-retroactivity doctrine, to Lackey’s second ha-beas petition and on the merits of Lackey’s claim. Because, as we have previously held, 1 the nonretroaetivity doctrine bars Lackey’s claim, we vacate the stay.
BACKGROUND
Lackey beat, kidnapped, and murdered Diane Kumph on July 31, 1977. Lackey was arrested, convicted of capital murder, and sentenced to death. Although the Texas Court of Criminal Appeals reversed his conviction,
Lackey v. State,
In his first federal habeas petition in this court, Lackey argued that executing him after his lengthy incarceration would constitute cruel and unusual punishment under the Eighth Amendment. In particular, Lackey argued that “executing him after his lengthy incarceration ‘makes no measurable contribution to accepted goals of punishment’ [and that] the addition of the death penalty to his lengthy incarceration is ‘grossly out of proportion to his isolated act.’ ”
Lackey v. Scott,
Lackey’s second federal petition also asserts that his execution after his lengthy incarceration on death row would constitute cruel and unusual punishment under the Eighth Amendment. His present claim specifically targets the alleged procedural default of the State as the cause for violation of his Eighth Amendment rights. As the district court put it: “Debatably, that which is
*100
truly ‘new
1
... is the added emphasis on ‘who is to blame’ for the bulk of the time he has spent on death row.”
Lackey v. Scott,
DISCUSSION
We review a stay imposed under 28 U.S.C. § 2251 for abuse of discretion.
Delo v. Stokes,
As we have already decided in this case, Lackey’s claim invokes the nonretroactivity doctrine.
3
Federal courts are barred from applying new constitutional rules of criminal procedure retroactively on collateral review.
Teague v. Lane,
Neither of Teague’s two narrow exceptions apply to Lackey’s claim. The first concerns primary, private, individual conduct that is a substantive due process right; the second concerns procedures implicit within ordered liberty that significantly improve factfinding.
Teague,
The district court held that reasonable jurists would debate whether
Teague
applies to this case because Lackey could not have raised this claim on direct review. Nevertheless, Lackey’s claim attacks the punishment judgment imposed by the trial court. He claims the State’s procedural delay caused the Eighth Amendment violation. The Supreme Court requires nonretroactivity on collateral review because the finality of a state criminal judgment promotes deterrence.
Teague,
Last time we held that we could not grant Lackey relief because to do so would require us to create a new rule.
Lackey v. Scott,
*101 CONCLUSION
Because the nonretroactivity doctrine prevents us and the district court from granting Lackey’s petition, we VACATE the stay imposed by the district court.
Notes
.
Lackey v. Scott,
.The parties and the district court misconstrue our recent decision in
James v. Cain,
. Lackey contends that executing him after a lengthy incarceration, allegedly caused by the State’s procedural default, would either be considered cruel and unusual by the Framers of the Constitution or violate the common decency standards of modem American society.
See Ford v. Wainwright,
. In other words, assuming without deciding that Lackey's petition is not an abuse of the writ and that it would succeed on the merits, the district court could not enter a stay because the nonre-troactivity doctrine bars Lackey’s claim.
