Buck was convicted
of capital murder for killing his ex-girlfriend and her friend in 1995. At the
time, Texas law required a jury to find beyond a reasonable doubt that a
defendant was likely to commit future acts of violence that made him a
continuing danger to society before imposing the death penalty. Buck’s defense
counsel introduced the testimony of a psychologist, Dr. Quijano, who had
prepared a report that ultimately concluded Buck was unlikely to commit future
acts of violence. However, Dr. Quijano’s report also included an analysis of
certain factors that he believed to weigh on a person’s predisposition to
commit future violence. One of those factors was race, and Dr. Quijano’s
conclusion as to this factor was that African Americans, like Buck, had an
increased probability of acting violently.

After Buck was
sentenced, other cases in which Dr. Quijano had testified that a person’s race
predisposed them to violence were appealed. The Texas Attorney General
identified six cases, including Buck’s, where Dr. Quijano’s racially
inappropriate testimony was relied upon for sentencing in capital cases. In all
but Buck’s case, the Attorney General admitted that it was error to use this
testimony and consented to resentencing of the defendants. The Attorney General
distinguished Buck’s case from the other five because it was Buck’s counsel
that called Dr. Quijano to the stand in his case, while the prosecution had
been the one to call the doctor in the other cases.
Buck then filed
his second state habeas petition (his first state habeas petition had been denied),
which alleged that his trial counsel was ineffective because he introduced Dr.
Quijano’s damaging testimony. The Texas Court of Criminal Appeals, however,
denied this petition because Buck had failed to raise this issue in his first
state habeas petition. Buck then filed a federal habeas petition again alleging
ineffective assistance of counsel, which the District Court also denied because
he had failed to raise the issue previously.
After the District
Court dismissed Buck’s federal habeas petition, the U.S. Supreme Court decided
two new cases, the combined effect of which was to relax the standard under
which Buck could seek review of his ineffective assistance of counsel claim
that he had failed to raise in his first habeas petition. Based on the change
in law, Buck sought to reopen his federal habeas case under Federal Rule of
Civil Procedure 60(b)(6), which allows courts to relieve a party from a final
judgment for any reason the court believes justifies relief. This has been
interpreted to mean that the moving party must show extraordinary
circumstances. Buck argued that extraordinary circumstances existed in his case
because of the change in law and the fact that his trial attorney introduced
expert testimony that inappropriately linked race to violence. The District
Court, however, found that Buck failed to demonstrate extraordinary
circumstances that would warrant review of his unpreserved claim. Furthermore,
it found that he failed to show that his trial attorney was ineffective for
calling Dr. Quijano to the stand, because any impact the racist testimony had
on the jury was de minimis when weighed against all the other evidence.
Buck then sought a
certificate of appealability from the Fifth Circuit, seeking to appeal the
District Court’s decision denying his Rule 60(b)(6) motion. When reviewing
applications for appeal, the Fifth Circuit must determine whether the claim is
reasonably debatable. In making this determination, the Court only needs to
find that reasonable jurists could disagree with the District Court’s ruling
that Buck failed to show extraordinary circumstances. The Fifth Circuit
ultimately denied Buck’s certificate of appealability because it found that
Buck failed to demonstrate extraordinary circumstances that would justify relief
for his Rule 60(b)(6) motion.
In
Buck v.
Davis, however, the U.S. Supreme Court held that the Fifth Circuit
should have granted Buck’s certificate of appealability for the District
Court’s denial of his Rule 60(b)(6) motion. The Supreme Court reasoned that the
Fifth Circuit should not have decided whether Buck had actually demonstrated
extraordinary circumstances; rather, it was limited to deciding whether
reasonable jurists could debate the issue of whether Buck showed extraordinary
circumstances. The Supreme Court found that the Fifth Circuit basically decided
Buck’s appeal on the merits, which is procedurally improper at the certificate
of appealability stage. The Fifth Circuit was essentially sidestepping the
requirement of first obtaining a certificate of appealability before a case
will be heard on the merits, which the Supreme Court found was tantamount to
deciding an appeal without jurisdiction.
The Supreme Court
also held that the District Court abused its discretion when it denied Buck’s
Rule 60(b)(6) motion for failure to show extraordinary circumstances.
Ultimately, the Supreme Court disagreed with the District Court’s finding that
Dr. Quijano’s racist testimony played only a de minimis role in the jury’s
decision to sentence Buck to death. The Supreme Court held that there was a
reasonably probability that Buck was sentenced to death at least in part
because he was black, after Dr. Quijano had testified that African Americans
are more likely to commit crimes of violence. This is sufficient to constitute
extraordinary circumstances, particularly in light of the extraordinary
measures that the Texas Attorney General had taken to remove the taint of Dr.
Quijano’s testimony in five other death penalty cases in which he testified.
Finally, the
Supreme Court held that Buck’s trial counsel was constitutionally ineffective.
Under Strickland v. Washington, 466 U.S. 668, a defendant must show
that his counsel performed deficiently, and that deficient performance
prejudiced the defendant. The Supreme Court reasoned that the trial counsel’s
decision to call Dr. Quijano to the stand and specifically elicit testimony
that his client was more likely to be a future danger because he is black was
deficient performance. This deficient performance prejudiced Buck because it
was likely that a juror could have valued this testimony from a medical expert
and applied it to preexisting racial stereotypes. Therefore, the Supreme Court
reversed and remanded the case.
Labels: Capital Murder, Certificate of Appealability, Federal Habeas Petition, ineffective assistance of counsel, Preexisting Racial Sterotypes, Racially Inappropriate Testimony, U.S. Supreme Court