Foster v. Chatman
Foster v. Chatman, 578 U.S. 488, was a United States Supreme Court case in which the Court held that the state law doctrine of res judicata does not preclude a Batson challenge against peremptory challenges if new evidence has emerged. The Court held the state courts' Batson analysis was subject to federal jurisdiction because "hen application of a state law bar 'depends on a federal constitutional ruling, the state-law prong of the court’s holding is not independent of federal law, and our jurisdiction is not precluded,'" under Ake v. Oklahoma.
It held that the petitioner, Timothy Foster, had established purposeful discrimination, and that as a result, the state habeas court and Supreme Court of Georgia had erred in denying his Batson claim that black jurors were struck from his jury pool on the basis of race. In concluding its opinion, the Court noted that "wo peremptory strikes on the basis of race are two more than the Constitution allows." The court frequently cited Snyder v. Louisiana in its decision.
Background
In 1986 Timothy Foster, a black 18-year-old, was accused of killing Queen Madge White, a 79-year-old white woman and retired schoolteacher in Georgia. She had been sexually assaulted and murdered in her home, which was ransacked. A month later, law enforcement officers were called to a domestic disturbance at the home of Lisa Stubbs. She told the officers that her boyfriend, Foster, had killed White and given items stolen from White's house to her and various family members. Foster was arrested, admitted to the crime, and some of the stolen items from White's house were recovered from Foster's residence.During jury selection, the prosecutors used peremptory strikes to remove all four black prospective jurors from the jury pool, resulting in an all-white jury. Foster challenged these strikes, arguing that they were racially motivated in violation of Batson v. Kentucky. The trial judge dismissed the challenge and empaneled the jury, which convicted Foster of the murder and sentenced him to death. After sentencing, Foster filed a motion for a new trial on the grounds that the jury selection violated the US Supreme Court's Batson decision. The trial court denied the motion, the Georgia Supreme Court affirmed the dismissal, and the U.S. Supreme Court denied certiorari.
Foster raised a habeas corpus challenge in the state court. During the habeas proceedings, Foster submitted a freedom of information request, under the Georgia Open Records Act, to obtain the prosecution's file for his trial. Among the documents produced by the request were numerous documents which the prosecution used during the jury selection process. The prosecutors had made notes on these:
- highlighted all the black prospective jurors on the jury list with a key indicating that the highlighting "represents Blacks";
- created a list of six "definite NO’s", of which the first five were all of the black prospective jurors;
- circled the race of each black prospective juror on their questionnaires;
- denoted, in handwritten notes, three of the black prospective jurors with "B#1", "B#2", and "B#3"
- and created a handwritten document titled "Church of Christ", which had an annotation stating "NO. No Black Church";
Despite this new evidence, the state court rejected Foster's habeas petition stating that the new evidence did not present "purposeful discrimination" and so did not provide sufficient reason to go against the doctrine of res judicata. The Georgia Supreme Court denied a "Certificate of Probable Cause" necessary, under state law, to appeal the habeas decision, determining that the case had no "arguable merit" The Georgia Supreme Court's decision in its entirety said: "Upon the consideration of the Application for Certificate of Probable Cause to appeal the denial of habeas corpus, it is ordered that it be hereby denied. All the Justices concur, except Benham, J., who dissents." Since the petition for certiorari to the Supreme Court was appealing the Georgia Supreme Court's order, it was unclear whether the order "rests on Adequate and [independent state ground|an adequate and independent state law ground]," which would preclude the U.S. Supreme Court's jurisdiction over Foster's federal claim.
Oral arguments
In an unusual turn of events, the US Supreme Court notified the attorneys for both sides that the justices may pose questions regarding the jurisdiction of the Court to hear the case. Advocating for Foster, Stephen B. Bright started his arguments with a criticism of the prosecutors' alleged racial motives coming into jury selection, but he was soon interrupted by Chief Justice Roberts asking for Bright to address the jurisdictional issues. Much of his speaking time was spent answering these procedural questions.Getting to the merits, Bright argued that the race-neutral reasons for the strikes were contradicted by the prosecution's actions and the documents Foster obtained. In response to a question by Chief Justice Roberts, Bright pointed out that, despite the prosecution claiming they struck the black prospective jurors because they were women, the prosecution accepted other non-black women onto the jury.