Skipper v. South Carolina explained

Litigants:Skipper v. South Carolina
Arguedate:February 24
Argueyear:1986
Decidedate:April 29
Decideyear:1986
Fullname:Skipper v. South Carolina
Usvol:476
Uspage:1
Parallelcitations:106 S. Ct. 1669; 90 L. Ed. 2d 1; 1986 U.S. LEXIS 145
Holding:The trial court's exclusion from the sentencing hearing of the testimony of the jailers and the visitor denied petitioner his right to place before the sentencing jury all relevant evidence in mitigation of punishment.
Majority:White
Joinmajority:Brennan, Marshall, Blackmun, Stevens, O'Connor
Concurrence:Powell
Joinconcurrence:Burger, Rehnquist
Lawsapplied:U.S. Const. amends. VIII, XIV

Skipper v. South Carolina, 476 U.S. 1 (1986), is a United States Supreme Court case in which the Court held that the rule from Lockett v. Ohio (1978) dictated that mitigating evidence not be subject to limitations based on relevance.

Background

Ronald DeRay Skipper was convicted of capital murder and rape in South Carolina. During the penalty phase of his bifurcated trial, as required by Gregg v. Georgia (1976), Skipper sought to introduce as mitigating evidence that he had "adjusted well" to his pre-trial incarceration. The trial court ruled the evidence irrelevant, in keeping with controlling South Carolina caselaw, excluded the evidence. Skipper was subsequently sentenced to death.

Holding

The Court held that, under Lockett, the exclusion of mitigating evidence on relevance grounds, as articulated by the South Carolina Supreme Court, violated the Eighth and Fourteenth Amendments and vacated the sentence.

See also