In 1950 appellee James Cook was convicted by a jury of the murder of Roland Smith and sentenced to life imprisonment. Cook did not appeal his conviction, and was paroled in 1957. His civil rights were fully restored in 1965.
In 1985 Cook was convicted of murder and two counts of aggravated assault. He was sentenced to death for the crime of murder. At the sentencing phase of this trial, Cook’s 1950 conviction for the murder of Roland Smith was offered as evidence of a statutory aggravating circumstance, OCGA § 17-10-30 (b) (1). In sentencing Cook to death the jury found two aggravating circumstances: one, that the offense of murder was committed by a person with a prior record of conviction for a capital felony, OCGA § 17-10-30 (b) (1); and two, that the offense of murder was committed while the offender was engaged in the commission of an aggravated battery, OCGA § 17-10-30 (b) (2). This court affirmed Cook’s conviction and sentence of death.
Cook v. State,
Cook subsequently filed this petition for habeas corpus, challenging the validity of his 1950 conviction for the murder of Roland Smith. The habeas court granted Cook’s petition and vacated his 1950 murder conviction. The state appeals. OCGA § 9-14-52 (c).
It is undisputed that there is no trial transcript from Cook’s 1950 murder trial. It is the duty of the state to have the trial testimony entered in the records of the court and to file a transcript following a guilty verdict.
Montgomery v. Tremblay,
We treat this case under OCGA § 9-14-1 (c).
Parris v. State,
1. The state first argues that the doctrine of laches should apply to bar Cook’s collateral attack on his 1950 conviction. The state takes the position that Cook’s delay in bringing this petition for habeas is unreasonable, and that it has been prejudiced by Cook’s delay.
Under the authority of
Jackson v. Jones,
2. The trial court found that Cook was denied his right to appeal his 1950 conviction by the state’s failure to preserve the transcript of his trial and by the failure of his attorneys to advise him of his right to an appeal; that Cook’s trial attorneys “fell well below the standard of reasonably effective assistance,” and that their performance prejudiced Cook’s defense; that a member of the grand jury which indicted Cook was also a member of the petit jury which convicted him and that Cook did not waive his right to object to the composition of the petit jury; and that Cook’s confession was admitted at trial in violation of
Brown v. Mississippi,
The habeas court was correct in concluding that Cook’s constitutional rights were violated in his 1950 murder trial and that Cook is currently suffering from the adverse collateral consequences of this conviction. Therefore, the habeas court did not err in setting aside Cook’s 1950 murder conviction.
Judgment affirmed.
Notes
Under Maleng, supra, Cook would not have been permitted to challenge his 1950 conviction in a federal habeas proceeding after his release from physical confinement in 1957 because he was not “in custody” within the meaning of the federal habeas statute.
