This is an appeal from the judgment of conviction entered against Jeremy Bender (“Bender”). Bender was charged and convicted under the Armed Career Criminal Act of possession of four firearms as a convicted felon in violation of 18 U.S.C. §§ 922(g)(1) and 924(e) (2000). On appeal, Bender contends that the district court erred when it declined to exclude the testimony of Smokey Heath (“Heath”), a government witness. Bender argues that Heath’s testimony should have been excluded because the government violated its duty under
Brady v. Maryland,
I. Background
We describe briefly the background of this case at this juncture and add more détail as it becomes relevant to the legal analysis. On November 29, 2000, a grand jury returned a four count indictment against Bender for possession of four firearms — three revolvers identified in counts one, two, and four, and two rifles (a semiautomatic and a lever-action) identified in count three — as a convicted felon.
Prior to the start of trial, defense counsel made a timely request from the government for all Brady material. The request for Brady material included “the details or evidence concerning any witness, especially any informants, who is or was [sic] suffering from any mental disability, emotional disturbance, drug addiction or alcohol addiction during the past fifteen years.” The government responded that it “under[stood] and accepted] its obligations under Brady” and that it would provide the materials consistent with the procedural requirements of case law.
Trial began on January 16, 2001. In support of its case, the government offered the testimony of 27 individuals. The evidence undisputedly linked Bender to the four weapons. The most damning testimony came from Kevin Lepine and Chuckie Lepage, both testifying pursuant to plea
The jury also heard testimony from Heath. According to Heath, in May 1999, while Bender was incarcerated awaiting trial, he confessed details of his crime to Heath, himself an inmate in state custody, and sought Heath’s assistance to discredit Chuekie Lepage. Instead, Heath contacted the Maine Violent Crime Task Force and disclosed Bender’s admissions.
On the Friday of a three-day weekend, just prior to the start of trial, Heath told the Assistant United States Attorney that, while he was incarcerated in state prison, he had been taken to the Augusta Mental Health Institute (“AMHI”), a state mental hospital. The prosecutor immediately notified defense counsel, prepared a release for Heath’s signature, and arranged to have copies of AMHI’s records brought to the federal courthouse the following Tuesday, the first day of trial. The medical records revealed that Heath may have experienced auditory hallucinations while incarcerated, or in the alternative, that Heath was malingering to avoid his legal dilemmas. While the court denied defense counsel’s request to preclude Heath’s testimony, it offered to delay the testimony for “another day or so.” Defense counsel maintained that such a brief continuance was not an adequate remedy, and instead elected to use the information in the AMHI records to cross-examine Heath and to argue to the jury.
After a two-day trial the jury returned verdicts of guilty on all four counts. Bender was sentenced to serve 293 months in prison on each count, to be served concurrently, and to serve concurrent supervised release terms of five years on each count.
This appeal followed.
II. Discussion
Bender seeks reversal of his conviction on the grounds that the government failed to timely disclose Heath’s medical treatment records in violation of
Brady v. Maryland,
First, it is questionable whether the federal government’s duty under
Brady
was triggered given that Heath’s mental health records were never in its possession or under its control.
United States v. Sepulveda,
Bender suggests that after he requested information relative to the mental health of a government witness, the prosecutor had a duty, once he knew someone was to be a witness, to find and disclose that information if it existed — regardless of where or with whom the information rested. To support this proposition, Bender relies on our decision in
United States v. Osorio,
Neither the relevant Supreme Court precedent under
Brady
nor our decision in Osorio requires a prosecutor to seek out and disclose exculpatory or impeaching material not in the government’s possession. To comply with
Brady
the individual prosecutor has a duty to find any evidence favorable to the defendant that was known to those acting on the government’s behalf.
Strickler v. Greene,
Bender’s argument that the government had a duty under
Brady
is further weakened by evidence that Bender himself was aware of Heath’s mental health history prior to the disclosure of the AMHI records.
Brady
applies to material that was known to the prosecution but unknown to the defense.
United States v. Soto-Alvarez,
While the absence of a
Brady
violation ends the matter, even if we were to assume, for purposes of argument, the existence of a
Brady
problem, Bender has utterly failed to demonstrate prejudice arising from the delay. A defendant must show that “learning the information altered the subsequent defense strategy, and [that] given a more timeous disclosure, a more effective strategy would likely have
We find little reason to believe that an earlier disclosure of the AMHI records would have improved Bender’s defense. Bender suggests that his cross-examination of Heath would have been more effective. Had the records been earlier disclosed he says he could have “confronted Heath with the evidence of his malingering and manipulation of his symptoms to avoid legal difficulties;” obtained the services of a medical expert to decipher the medical terminology in the records; and subpoenaed Heath’s additional mental health records.
Defense counsel, in fact, conducted an effective and thorough cross-examination of Heath along these very lines by using the AMHI records and his criminal history to attack his credibility. Defense counsel questioned Heath about the “nervous breakdown” that led to his 30-day commitment to AMHI. He asked whether Heath reported auditory hallucinations. He questioned Heath about the mental health treatment he received prior to his commitment to AMHI. He pressed Heath about his desperation to avoid incarceration, that included swallowing a metal object, and suggested that perhaps it also included fabricating a confession to garner favor with law enforcement officials. He elicited testimony that Heath had indeed asked for favors from law enforcement officials after he disclosed Heath’s confession' — specifically that he be transferred to a different, more congenial facility. He brought out Heath’s prior convictions for burglary, kidnapping and terrorizing, and gross sexual assault. We conclude that any delay in the disclosure of Heath’s AMHI records did not impair defense counsel’s effective use of the. information or hinder a presentation of the defense.
Devin,
We find no basis for reversing Bender’s conviction. The judgment of the district court is affirmed.
