In a message dated 12/09/1999 2:34:09 AM Eastern Standard Time, 
[EMAIL PROTECTED] writes:

<< Please send as far and wide as possible.
 
 Thanks,
 
 Robert Sterling
 Editor, The Konformist
 http://www.konformist.com
 
 
 [EMAIL PROTECTED]
 Thu, 02 Dec 1999
 
 Summary of the Constitutional Claims in Mumia's Petition for a Writ of 
Habeas 
 Corpus
 
 by C. Clark Kissinger
 
 In his petition, Mumia Abu-Jamal asserts 29 claims of constitutional
 violations in his trial, sentencing, and post-conviction proceedings.
 These are grouped into six categories. The citing of Constitutional
 amendments refers to rights based on these amendments as interpreted by
 the courts.
 
 I. Claims regarding the suppression, manipulation, and manufacturing of
 evidence.
 
 Claim One: The State manipulated two purported eyewitnesses to falsely
 identify Jamal as the shooter, in violation of his Fifth, Eighth, and
 Fourteenth Amendments rights. Two witnesses who changed their testimony
 are Cynthia White and Robert Chobert.
 
 Claim Two: The State suppressed evidence that the true shooter fled, in
 violation of the Fifth, Eighth And Fourteenth Amendments. Witnesses with
 evidence to someone fleeing the scene included: Robert Chobert, Veronica
 Jones, William Singletary (an eyewitness to the shooting), Arnold Howard
 and the physical evidence of the fleeing man, Dessie Hightower (a
 defense eyewitness to the fleeing man called at trial), Deborah
 Kordansky (another eyewitness to the fleeing man), and William Cook
 (Jamal's brother).
 
 Claim Three: Jamal was found guilty and sentenced to death through the
 use of a fabricated confession, in violation of the Fifth, Eighth and
 Fourteenth Amendments. Two months after the shooting, police officers
 suddenly �remembered� hearing Jamal confess that night.
 
 Claim Four: The State destroyed critical physical evidence, manipulated
 and misrepresented the ballistics and medical evidence, and suppressed
 crime scene test results, in violation of the Fifth, Eighth, And
 Fourteenth Amendments. This includes a discarded bullet fragment,
 failure to conduct routine ballistics tests, and the fact that the jury
 never saw the medical examiners report stating �shot by .44 cal.�
 
 Claim Five: The Commonwealth failed to disclose government political
 surveillance files demonstrating longstanding police bias against Jamal,
 in violation of the Fifth, Eighth and Fourteenth Amendments. This
 includes 600 pages of FBI files documenting surveillance of Jamal by the
 Philadelphia police.
 
 II. Claims regarding the inadequacy of counsel during the guilt phase of
 the trial.
 
 Claim Six: Jamal was deprived of his Constitutional rights under the
 Fifth, Sixth, Eighth and Fourteenth Amendments due to defense counsel's
 prejudicially deficient performance during the guilt phase. Problems
 with the performance of Anthony Jackson include:
    A. Jackson's lack of experience in capital litigation and recent
 entry into criminal practice
    B. Jackson's deficient performance during the pretrial phase
       1. During the Initial Stages of the Pretrial Phase
       2. Counsel's Failure to Obtain the Services of Experts and an
 Investigator
       3. Jackson's Deficient Pretrial Preparation and Jamal's Decision
 to Proceed Pro Se
    C. Jackson's failures at trial
       1. Counsel's Failure to Obtain Experts Resulted in The Jury Having
 a Distorted View of the Physical Evidence in the Case (the prejudice
 caused by failing to obtain a Pathologist and a Ballistics Expert)
       2. Counsel's Failure to Retain an Investigator Resulted in the
 Jury Having a Distorted View of the Eyewitness Accounts
       3. Counsel's Failure to Prepare for Trial Resulted in the Jury Not
 Hearing Highly Favorable Evidence to the Defense, but Being Exposed to
 Evidence That Was Deeply Prejudicial
 
 Claim Seven: The prosecution's case was never placed within the crucible
 of meaningful adversarial testing due to the court-created conflict of
 interest between counsel and client, thus violating his Fifth, Sixth,
 Eighth, and Fourteenth Amendment rights. The court stripped Jamal of his
 right to represent himself, and at the same time forced an ill-prepared
 counsel to conduct an inadequate defense. The conflict between the
 defendant and the appointed counsel was court created. As a result the
 prosecution case was never really tested before the jury.
 
 Claim Eight: The trial court denied Jamal the ability to defend himself
 by denying the funds needed to retain necessary services of experts and
 an investigator, in violation of the Fifth, Sixth, Eighth, and
 Fourteenth Amendments. This includes the issue of a ballistics expert, a
 medical expert, and a defense investigator.
 
 III. Claims regarding the manner in which the trial and direct appeal
 were conducted.
 
 Claim Nine: The court's denial of a continuance precluded Jamal from
 presenting critical defense evidence, in violation of the Fifth, Eighth,
 and Fourteenth Amendments. The court refused to give the defense a day
 to find Officer Wakshul who wrote in his report that Mumia had made no
 statements at the hospital.
 
 Claim Ten: The court impermissibly restricted the elicitation of
 material evidence favorable to the defense, in violation of the Fifth,
 Eighth, and Fourteenth Amendments. This pertains to restrictions on the
 examination of Veronica Jones and Robert Chobert
 
 Claim Eleven: The Court unconstitutionally stripped Jamal of his right
 to self-representation by ruling that Jamal had to let the Court or
 back-up counsel conduct the jury selection, in violation of the Fifth,
 Sixth, Eighth and Fourteenth Amendments.
 
 Claim Twelve: The Court's forced removal of Jamal from significant
 portions of his capital trial violated his Fifth, Eighth, and Fourteenth
 Amendment rights. There were not provisions made for Jamal to follow
 events in the court as they happened, even though he was on trial for
 his life.
 
 Claim Thirteen: Jamal's absence from two conferences in the judge�s
 chambers violated his Fifth, Sixth, Eighth, and Fourteenth Amendment
 Rights. The June 18th in camera conference was regarding the removal of
 Juror Dawley, who replaced by an alternate who had previously indicated
 a bias in the case. The June 28th in camera conference was regarding the
 shooting of Jamal. Here the judge would not allow the questioning of
 police officers in open court on the question of how Jamal was shot.
 
 Claim Fourteen: The Prosecutor's improper guilt phase summation violated
 the Fifth, Eighth and Fourteenth Amendments. The prosecutor
 misrepresented the �reasonable doubt� standard, implied guilt from Jamal
 refusal to testify under the conditions of this trial, and vouched for
 the veracity of a key witness while knowing the motivation that that
 witness had to lie.
 
 Claim Fifteen: Jamal's Constitutional rights were violated the deficient
 performance of appellate counsel. Jamal�s court appointed counsel for
 his direct appeal failed to raise key issues, and did not even have a
 complete copy of the trial record.
 
 IV. Claims regarding the selection of the jury and improper jury
 procedures.
 
 Claim Sixteen: The State's racially discriminatory exercise of
 peremptory challenges violated the Fifth, Sixth, and Fourteenth
 Amendments. Jamal has established a prima facie violation of Batson and
 Swain (the Supreme Court cases barring the use of peremptory challenges
 to removed jurors on the basis of race). Also the evidence on the
 systematic exclusion of Black jurors in Philadelphia.
 
 Claim Seventeen: The trial court unconstitutionally responded to a
 juror's request without notifying the defense, and then engineered this
 juror's removal, in violation of the Fifth, Sixth, Eighth, and
 Fourteenth Amendments. The court refused to allow a Black juror to seek
 treatment for a sick pet after court hours, but then postpone a court
 session to allow a white juror to take a civil service exam.
 
 Claim Eighteen: The court refused to excuse for cause a palpably unfit
 and biased juror, in violation of the Fifth, Eighth and Fourteenth
 Amendments. Alternate juror Edward Courchain was seated in place of
 Jeanie Dawley who was removed, even though Couchain had stated during
 the jury selection process that he would not be able to judge the facts
 in an objective manner because of his exposure to news media accounts.
 
 Claim Nineteen: Some jurors engaged in secret, premature deliberations
 during the course of the trial, in violation of the Fifth, Eighth, and
 Fourteenth Amendments. This pertains to three white jurors who met
 together in a hotel room.
 
 Claim Twenty: Jamal's jury was drawn from a pool that was composed in
 violation of the Fifth, Eighth and Fourteenth Amendments. Juries in
 Philadelphia are drawn from different geographical areas on a rotating
 basis which strongly effects their racial composition.
 
 V. Claims regarding the penalty phase of the trial.
 
 Claim Twenty-One: Jamal was deprived of his Constitutional rights under
 the Fifth, Sixth, Eighth and Fourteenth Amendments due to trial
 counsel's prejudicially deficient performance during the penalty phase.
 The defense counsel made no preparation for the penalty phase and failed
 to call a single witness in mitigation (witnesses for why Jamal should
 not receive the death penalty. Instead, Jackson literally called people
 from the audience as character witnesses without even talking to them
 first.
 
 Claim Twenty-Two: Jamal's Constitutional rights were violated by the
 prosecution's use of his affiliation with the Black Panther Party (years
 earlier) to argue for the Death Penalty. This type of argument for the
 death penalty (the citing of political speech and affiliation) was
 subsequently outlawed by the U.S. Supreme Court.
 
 Claim Twenty-Three: Jamal's Constitutional rights were violated by the
 prosecutor's improper penalty phase closing. The prosecutor tried to
 convince the jury that the ultimate responsibility for Jamal�s fate
 would lie with appellate courts, and not with them (thus making it seem
 easier to vote for the death penalty).
 
 Claim Twenty-Four: The State unconstitutionally withheld relevant
 evidence in mitigation in violation of the Fifth, Eighth and Fourteenth
 Amendments. This refers to the withholding of the police surveillance
 files that showed no criminal conduct by Jamal during years of
 surveillance.
 
 Claim Twenty-Five: The jury was unconstitutionally led to believe that
 any findings of mitigating circumstances required unanimous jury action.
 The jury was given a form on which to list �mitigating� and
 �aggravating� circumstances for determining whether the death sentence
 should be applied.
 
 The form did not make clear that aggravating circumstances required
 unanimous agreement, while mitigating circumstances required only a
 majority.
 
 Claim Twenty-Six: Jamal's Constitutional rights were violated by the
 jury's confusion on whether life imprisonment meant without the
 possibility of parole. The defense counsel was cut off by the court in
 his remarks so as to give the impression to the jury that some people
 who are sentenced to life in prison are out in just a few years.
 
 Claim Twenty-Seven: Jamal's death sentence is itself unconstitutional
 under evolving standards of decency. Here international law is cited in
 addition the call by the American Bar Association for a moratorium on
 executions.
 
 Claim Twenty-Eight: Jamal was sentenced to death due to the
 constitutionally impermissible factor of racial discrimination in
 violation of the Fifth, Eighth, And Fourteenth Amendments. This deals
 with Pennsylvania�s record of sentencing Black people to death in far
 greater numbers than their percentage of the population.
 
 VI. Claim regarding the conduct of the post-conviction proceedings.
 
 Claim Twenty-Nine: Jamal was denied due process by an unfair State
 post-conviction hearing proceeding. The judge (Sabo) who conducted the
 hearings for a new trial, was the same judge who conducted the original
 trial. Sabo's display of bias and hostility were dramatic.  His deep
 rooted biases infected his fact findings and required his recusal
 (stepping down from the case). The same is true for Justice Ronald D.
 Castille of the Pennsylvania Supreme Court.
 
 To read the full text of the petition on the internet, go to
 http://mojo.calyx.net/~refuse/mumia/101699petitiontoc.html
 
 ---------------
 re-sent by Prison Radio
 
 Prison Radio challenges mass incarceration and racism by airing the voices
 of men and women in prison. Our educational materials serve
 as a catalyst for public activism.
 
 To subscribe to the Prison Radio Zap-email list,
 send a blank email message to [EMAIL PROTECTED]
 
 To unsubscribe, send a blank email
 message to [EMAIL PROTECTED]
 
 In order to be on the mailing list,
 send us a contribution of $25 or more. >>



Please send as far and wide as possible.

Thanks,

Robert Sterling
Editor, The Konformist
http://www.konformist.com


[EMAIL PROTECTED]
Thu, 02 Dec 1999

Summary of the Constitutional Claims in Mumia's Petition for a Writ of Habeas 
Corpus

by C. Clark Kissinger

In his petition, Mumia Abu-Jamal asserts 29 claims of constitutional
violations in his trial, sentencing, and post-conviction proceedings.
These are grouped into six categories. The citing of Constitutional
amendments refers to rights based on these amendments as interpreted by
the courts.

I. Claims regarding the suppression, manipulation, and manufacturing of
evidence.

Claim One: The State manipulated two purported eyewitnesses to falsely
identify Jamal as the shooter, in violation of his Fifth, Eighth, and
Fourteenth Amendments rights. Two witnesses who changed their testimony
are Cynthia White and Robert Chobert.

Claim Two: The State suppressed evidence that the true shooter fled, in
violation of the Fifth, Eighth And Fourteenth Amendments. Witnesses with
evidence to someone fleeing the scene included: Robert Chobert, Veronica
Jones, William Singletary (an eyewitness to the shooting), Arnold Howard
and the physical evidence of the fleeing man, Dessie Hightower (a
defense eyewitness to the fleeing man called at trial), Deborah
Kordansky (another eyewitness to the fleeing man), and William Cook
(Jamal's brother).

Claim Three: Jamal was found guilty and sentenced to death through the
use of a fabricated confession, in violation of the Fifth, Eighth and
Fourteenth Amendments. Two months after the shooting, police officers
suddenly �remembered� hearing Jamal confess that night.

Claim Four: The State destroyed critical physical evidence, manipulated
and misrepresented the ballistics and medical evidence, and suppressed
crime scene test results, in violation of the Fifth, Eighth, And
Fourteenth Amendments. This includes a discarded bullet fragment,
failure to conduct routine ballistics tests, and the fact that the jury
never saw the medical examiners report stating �shot by .44 cal.�

Claim Five: The Commonwealth failed to disclose government political
surveillance files demonstrating longstanding police bias against Jamal,
in violation of the Fifth, Eighth and Fourteenth Amendments. This
includes 600 pages of FBI files documenting surveillance of Jamal by the
Philadelphia police.

II. Claims regarding the inadequacy of counsel during the guilt phase of
the trial.

Claim Six: Jamal was deprived of his Constitutional rights under the
Fifth, Sixth, Eighth and Fourteenth Amendments due to defense counsel's
prejudicially deficient performance during the guilt phase. Problems
with the performance of Anthony Jackson include:
   A. Jackson's lack of experience in capital litigation and recent
entry into criminal practice
   B. Jackson's deficient performance during the pretrial phase
      1. During the Initial Stages of the Pretrial Phase
      2. Counsel's Failure to Obtain the Services of Experts and an
Investigator
      3. Jackson's Deficient Pretrial Preparation and Jamal's Decision
to Proceed Pro Se
   C. Jackson's failures at trial
      1. Counsel's Failure to Obtain Experts Resulted in The Jury Having
a Distorted View of the Physical Evidence in the Case (the prejudice
caused by failing to obtain a Pathologist and a Ballistics Expert)
      2. Counsel's Failure to Retain an Investigator Resulted in the
Jury Having a Distorted View of the Eyewitness Accounts
      3. Counsel's Failure to Prepare for Trial Resulted in the Jury Not
Hearing Highly Favorable Evidence to the Defense, but Being Exposed to
Evidence That Was Deeply Prejudicial

Claim Seven: The prosecution's case was never placed within the crucible
of meaningful adversarial testing due to the court-created conflict of
interest between counsel and client, thus violating his Fifth, Sixth,
Eighth, and Fourteenth Amendment rights. The court stripped Jamal of his
right to represent himself, and at the same time forced an ill-prepared
counsel to conduct an inadequate defense. The conflict between the
defendant and the appointed counsel was court created. As a result the
prosecution case was never really tested before the jury.

Claim Eight: The trial court denied Jamal the ability to defend himself
by denying the funds needed to retain necessary services of experts and
an investigator, in violation of the Fifth, Sixth, Eighth, and
Fourteenth Amendments. This includes the issue of a ballistics expert, a
medical expert, and a defense investigator.

III. Claims regarding the manner in which the trial and direct appeal
were conducted.

Claim Nine: The court's denial of a continuance precluded Jamal from
presenting critical defense evidence, in violation of the Fifth, Eighth,
and Fourteenth Amendments. The court refused to give the defense a day
to find Officer Wakshul who wrote in his report that Mumia had made no
statements at the hospital.

Claim Ten: The court impermissibly restricted the elicitation of
material evidence favorable to the defense, in violation of the Fifth,
Eighth, and Fourteenth Amendments. This pertains to restrictions on the
examination of Veronica Jones and Robert Chobert

Claim Eleven: The Court unconstitutionally stripped Jamal of his right
to self-representation by ruling that Jamal had to let the Court or
back-up counsel conduct the jury selection, in violation of the Fifth,
Sixth, Eighth and Fourteenth Amendments.

Claim Twelve: The Court's forced removal of Jamal from significant
portions of his capital trial violated his Fifth, Eighth, and Fourteenth
Amendment rights. There were not provisions made for Jamal to follow
events in the court as they happened, even though he was on trial for
his life.

Claim Thirteen: Jamal's absence from two conferences in the judge�s
chambers violated his Fifth, Sixth, Eighth, and Fourteenth Amendment
Rights. The June 18th in camera conference was regarding the removal of
Juror Dawley, who replaced by an alternate who had previously indicated
a bias in the case. The June 28th in camera conference was regarding the
shooting of Jamal. Here the judge would not allow the questioning of
police officers in open court on the question of how Jamal was shot.

Claim Fourteen: The Prosecutor's improper guilt phase summation violated
the Fifth, Eighth and Fourteenth Amendments. The prosecutor
misrepresented the �reasonable doubt� standard, implied guilt from Jamal
refusal to testify under the conditions of this trial, and vouched for
the veracity of a key witness while knowing the motivation that that
witness had to lie.

Claim Fifteen: Jamal's Constitutional rights were violated the deficient
performance of appellate counsel. Jamal�s court appointed counsel for
his direct appeal failed to raise key issues, and did not even have a
complete copy of the trial record.

IV. Claims regarding the selection of the jury and improper jury
procedures.

Claim Sixteen: The State's racially discriminatory exercise of
peremptory challenges violated the Fifth, Sixth, and Fourteenth
Amendments. Jamal has established a prima facie violation of Batson and
Swain (the Supreme Court cases barring the use of peremptory challenges
to removed jurors on the basis of race). Also the evidence on the
systematic exclusion of Black jurors in Philadelphia.

Claim Seventeen: The trial court unconstitutionally responded to a
juror's request without notifying the defense, and then engineered this
juror's removal, in violation of the Fifth, Sixth, Eighth, and
Fourteenth Amendments. The court refused to allow a Black juror to seek
treatment for a sick pet after court hours, but then postpone a court
session to allow a white juror to take a civil service exam.

Claim Eighteen: The court refused to excuse for cause a palpably unfit
and biased juror, in violation of the Fifth, Eighth and Fourteenth
Amendments. Alternate juror Edward Courchain was seated in place of
Jeanie Dawley who was removed, even though Couchain had stated during
the jury selection process that he would not be able to judge the facts
in an objective manner because of his exposure to news media accounts.

Claim Nineteen: Some jurors engaged in secret, premature deliberations
during the course of the trial, in violation of the Fifth, Eighth, and
Fourteenth Amendments. This pertains to three white jurors who met
together in a hotel room.

Claim Twenty: Jamal's jury was drawn from a pool that was composed in
violation of the Fifth, Eighth and Fourteenth Amendments. Juries in
Philadelphia are drawn from different geographical areas on a rotating
basis which strongly effects their racial composition.

V. Claims regarding the penalty phase of the trial.

Claim Twenty-One: Jamal was deprived of his Constitutional rights under
the Fifth, Sixth, Eighth and Fourteenth Amendments due to trial
counsel's prejudicially deficient performance during the penalty phase.
The defense counsel made no preparation for the penalty phase and failed
to call a single witness in mitigation (witnesses for why Jamal should
not receive the death penalty. Instead, Jackson literally called people
from the audience as character witnesses without even talking to them
first.

Claim Twenty-Two: Jamal's Constitutional rights were violated by the
prosecution's use of his affiliation with the Black Panther Party (years
earlier) to argue for the Death Penalty. This type of argument for the
death penalty (the citing of political speech and affiliation) was
subsequently outlawed by the U.S. Supreme Court.

Claim Twenty-Three: Jamal's Constitutional rights were violated by the
prosecutor's improper penalty phase closing. The prosecutor tried to
convince the jury that the ultimate responsibility for Jamal�s fate
would lie with appellate courts, and not with them (thus making it seem
easier to vote for the death penalty).

Claim Twenty-Four: The State unconstitutionally withheld relevant
evidence in mitigation in violation of the Fifth, Eighth and Fourteenth
Amendments. This refers to the withholding of the police surveillance
files that showed no criminal conduct by Jamal during years of
surveillance.

Claim Twenty-Five: The jury was unconstitutionally led to believe that
any findings of mitigating circumstances required unanimous jury action.
The jury was given a form on which to list �mitigating� and
�aggravating� circumstances for determining whether the death sentence
should be applied.

The form did not make clear that aggravating circumstances required
unanimous agreement, while mitigating circumstances required only a
majority.

Claim Twenty-Six: Jamal's Constitutional rights were violated by the
jury's confusion on whether life imprisonment meant without the
possibility of parole. The defense counsel was cut off by the court in
his remarks so as to give the impression to the jury that some people
who are sentenced to life in prison are out in just a few years.

Claim Twenty-Seven: Jamal's death sentence is itself unconstitutional
under evolving standards of decency. Here international law is cited in
addition the call by the American Bar Association for a moratorium on
executions.

Claim Twenty-Eight: Jamal was sentenced to death due to the
constitutionally impermissible factor of racial discrimination in
violation of the Fifth, Eighth, And Fourteenth Amendments. This deals
with Pennsylvania�s record of sentencing Black people to death in far
greater numbers than their percentage of the population.

VI. Claim regarding the conduct of the post-conviction proceedings.

Claim Twenty-Nine: Jamal was denied due process by an unfair State
post-conviction hearing proceeding. The judge (Sabo) who conducted the
hearings for a new trial, was the same judge who conducted the original
trial. Sabo's display of bias and hostility were dramatic.  His deep
rooted biases infected his fact findings and required his recusal
(stepping down from the case). The same is true for Justice Ronald D.
Castille of the Pennsylvania Supreme Court.

To read the full text of the petition on the internet, go to
http://mojo.calyx.net/~refuse/mumia/101699petitiontoc.html

---------------
re-sent by Prison Radio

Prison Radio challenges mass incarceration and racism by airing the voices
of men and women in prison. Our educational materials serve
as a catalyst for public activism.

To subscribe to the Prison Radio Zap-email list,
send a blank email message to [EMAIL PROTECTED]

To unsubscribe, send a blank email
message to [EMAIL PROTECTED]

In order to be on the mailing list,
send us a contribution of $25 or more.

Prison Radio
P.O. Box 411074
San Francisco, CA 94141
www.prisonradio.org

________________________________________________________________________


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