Sumner v. Shuman
Sumner v. Shuman, 483 U.S. 66, was a case in which the Supreme Court of the United States held that a mandatory death penalty for a prison inmate who is convicted of murder while serving a life sentence without possibility of parole is unconstitutional. The decision in this case was a significant development in the Court's capital punishment jurisprudence, further clarifying the limits on the application of the death penalty in the United States.
Background
The case of Sumner v. Shuman arose from the murder of a fellow inmate by Raymond Wallace Shuman, who was already serving a life sentence without the possibility of parole in a Nevada state prison. Under Nevada law at the time, the imposition of the death penalty was mandatory for inmates convicted of murder while serving a life sentence without parole. Shuman was subsequently convicted of the murder and sentenced to death, as required by the Nevada statute.Appealing his sentence, Shuman argued that the mandatory death penalty imposed in his case violated the Eighth Amendment's prohibition against cruel and unusual punishment, as well as the Fourteenth Amendment's guarantee of due process of law. The case eventually reached the Supreme Court of the United States.
Opinion of the Court
In a 6–3 decision, the Supreme Court held that the mandatory imposition of the death penalty on inmates convicted of murder while serving a life sentence without the possibility of parole was unconstitutional. Writing for the majority, Justice Harry Blackmun reasoned that the Eighth Amendment requires individualized sentencing in capital cases, allowing for the consideration of mitigating factors related to the defendant's character or the circumstances of the crime.The Court cited its previous decisions in Woodson v. North Carolina, 428 U.S. 280, and Lockett v. Ohio, 438 U.S. 586, which had invalidated mandatory death penalty statutes for similar reasons. The Court reasoned that there was no compelling justification for treating inmates serving life sentences without parole differently from other defendants in capital cases. As a result, the Court held that the Nevada statute violated the Constitution by denying Shuman the opportunity to present mitigating evidence before a jury or judge to potentially avoid a death sentence.