In re Kareem Jackson, No. 21-3102 (6th Cir. 2021)
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Jackson was convicted of six counts of aggravated murder (with capital specifications), three counts of aggravated robbery, four counts of kidnapping, and one count of felonious assault, and sentenced to death. His first federal habeas corpus petition was denied in 2012. In 2020, Jackson filed the current federal habeas corpus petition, asserting that: the prosecution withheld material and exculpatory evidence in violation of "Brady," the prosecution presented false and coerced testimony in violation of "Napue," and Ohio’s postconviction scheme violates the Supremacy Clause. Jackson argued that his claims were not previously ripe for review and therefore not subject to 28 U.S.C. 2244(b)’s requirements for permission to file a successive petition.
The Sixth Circuit denied Jackson’s motion for remand to the district court but granted permission to file a successive petition. It is unclear precisely how Jackson obtained the witness statements that he claims were suppressed under Brady, which bears on the question of whether “the factual predicate for the claim could not have been discovered previously through the exercise of due diligence.” However, Jackson’s proposed petition also explains that “the exculpatory evidence was first disclosed by the State in Clemency-related Public Records Act litigation,” which presumably would not have been available until Jackson’s date of execution approached. Jackson has also shown that “but for the constitutional error, no reasonable factfinder would have found [him] guilty.”
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