Neil v. Biggers


Neil v. Biggers, 409 U.S. 188, was a case decided by the Supreme Court of the United States in 1972. The case concerned the reliability of a police lineup.

Background

In January 1965, Margaret Beamer was the victim of a home invasion. She was forced from her home and raped two blocks away. The entire attack took place during the evening, so she could only give a general description of the perpetrator. During the subsequent investigation, Beamer was unable to identify any suspect during various police lineups. On August 17, 1965, the police arrested Archie Biggers in connection with another rape. They asked Beamer to view Biggers in a "show-up," where Beamer was the only suspect shown. Beamer positively identified Biggers.
The state's case rested "almost exclusively" on the show-up identification. Biggers was found guilty and was sentenced to 20 years in prison. The Tennessee Supreme Court affirmed the sentence, which was affirmed 4–4 by the Supreme Court of the United States in 1968.
Biggers then sought federal habeas corpus relief, which was granted on the grounds that the Supreme Court's prior tied decision was not an "actual adjudication" under and that the show-up procedure was so suggestive as to violate Due Process. The United States Court of Appeals for the Sixth Circuit affirmed.

Decision

In a 6–3 decision authored by [Associate Associate Justice of the Supreme Court of the United States|Justice of the Supreme Court of the United States|Justice] Lewis F. Powell Jr., the Court concluded that its prior tie on Biggers' case did not preclude relief and that the identification procedure at issue did not violate the Due Process Clause. Justice Thurgood Marshall did not participate in the consideration or decision of the case.
Justice Powell began by examining the history of tied Supreme Court cases and determined that such decisions are not precedential. Instead, such a decision merely leaves in place the decision of the lower court.
The Court then examined its precedents relating to the admissibility of evidence, particularly focusing on Stovall v. Denno. The Court held that:
"he factors to be considered in evaluating the likelihood of misidentification include the opportunity of the witness to view the criminal at the time of the crime, the witness' degree of attention, the accuracy of the witness' prior description of the criminal, the level of certainty demonstrated by the witness at the confrontation, and the length of time between the crime and the confrontation." - Justice Powell, Neil v. Biggers 490 U.S. 188, 199.
Balancing these factors, the Court concluded that there was no "substantial risk of misidentification."
Justice William J. Brennan Jr. wrote a partial concurrence and dissent. While he agreed that the previous, tied decision was not an "actual adjudication," he believed that the identification procedure was too suggestive to survive constitutional scrutiny.

Aftermath

The Biggers decision has been criticized as being out of step with modern understandings of eyewitness memory.