Tisdale v. StateTisdale v. State
Respondent was convicted of entering a bank with intent to steal, armed robbery, grand larceny, and possession of a weapon during the commission of a crime. The trial judge vacated the grand larceny conviction and sentenced respondent to thirty years for armed robbery, thirty years concurrent, for entering a bank with intent to steal, and two years consecutive, for possession of a weapon during commission of a crime. The Court of Appeals affirmed the convictions and sentences.
State v. Tisdale,
Respondent filed an application for post-conviction relief (PCR). The PCR court granted respondent relief and ordered a new appeal, finding respondent received ineffective assistance of appellate counsel. We reverse the PCR court.
ISSUE
Did the PCR court err in holding appellate counsel was ineffective for failing to raise all meritorious issues on appeal?
ANALYSIS
The PCR court held that respondent’s appellate counsel was ineffective because she had an obligation to raise all meritorious issues on appeal. We disagree.
In the case at hand, the order granting respondent PCR stated:
Appellate Counsel testified during the PCR Hearing that she made a tactical decision to raise only two preserved issues on appeal ... Where counsel articulates a valid reason for employing a certain strategy, such conduct will not be deemed ineffective assistance of counsel. However, this should not be the rule for appellate counsel. Effective Appellate Counsel has an obligation to raise all meritorious issues on appeal. The strategy of choosing one or two issues on direct appeal when several meritorious issues exist deprives the applicant of effective assistance of counsel, (emphasis supplied).
We find that the PCR judge decided this case using an incorrect standard.
See Thrift,
We REVERSE the PCR court’s decision that appellate counsel was ineffective.