McDonough Power Equipment, Inc. v. Greenwood explained

Litigants:McDonough Power Equipment v. Greenwood
Arguedate:November 28
Argueyear:1983
Decidedate:January 18
Decideyear:1984
Fullname:McDonough Power Equipment, Inc. v. Greenwood, et al.
Usvol:464
Uspage:548
Parallelcitations:104 S. Ct. 845; 78 L. Ed. 2d 663
Prior:Greenwood et al. v. McDonough Power Equipment, Inc. . 687 . F.2d . 338 . 10th Cir. . 1982 .
Holding:A juror's failure to respond to question on voir dire did not require new trial absent a showing of denial of right to impartial jury.
Majority:Rehnquist
Joinmajority:Burger, White, Blackmun, Powell, Stevens, O'Connor
Concurrence:Blackmun
Joinconcurrence:Stevens, O'Connor
Concurrence2:Brennan
Joinconcurrence2:Marshall
Lawsapplied:Rule 61 of the Federal Rules of Civil Procedure,

McDonough Power Equipment, Inc. v. Greenwood, 464 U.S. 548 (1984), was a case decided by the Supreme Court of the United States that established a standard for challenging a verdict based on inaccurate answers given by prospective jurors during voir dire.[1]

Background

Bill Greenwood was a juvenile in Kansas whose feet were severed on a riding lawnmower manufactured by McDonough. Before the three-week trials, one of the jurors failed to disclose that her son had sustained a broken leg as a result of an exploding tire. Although McDonough would likely have used a peremptory challenge if they had known the background, there was no direct conflict of interest and the rest of the jurors quickly ruled against the manufacturer in deliberations.

Decision

The standard adopted by the Court in McDonough was that a verdict could be challenged because of inaccurate answers given during voir dire only if the juror failed to honestly answer a question and an honest answer would have provided a valid basis for a challenge for cause.[2]

See also

External links

Notes and References

  1. Yeazell, S.C. Civil Procedure, Seventh Edition. Aspen Publishers, New York, NY: 2008, p. 594
  2. Yeazell, p. 594