ERIC F. MELGREN, District Judge.
In 2008, Petitioner James Richard Dudley was convicted of one count of aggravated battery and two counts of battery on a law enforcement officer. He was sentenced to 226 months in prison. Dudley petitions this Court to issue a writ of habeas corpus under 28 U.S.C. § 2254. He argues that his state convictions are unconstitutional because ineffective assistance of counsel precluded him from receiving a fair trial. In addition, he argues that his sentence was unconstitutional because his prior juvenile adjudications were improperly used to enhance his sentence. Having carefully reviewed the record, the Court denies Dudley's petition for a Writ of Habeas Corpus.
In 2007, James Dudley was charged with aggravated battery and aggravated burglary. Shelley Bock was appointed to represent Dudley on those charges. In 2008, Dudley entered a plea of no contest to one count of aggravated battery and two counts of battery on a law enforcement officer. The Douglas County District Court found Dudley guilty and sentenced him to 226 months in prison. Dudley claims that his sentence was enhanced because of his prior juvenile convictions that were not tried before a jury.
Dudley's convictions were affirmed on direct appeal by the Kansas Court of Appeals, and the Kansas Supreme Court denied review. Dudley proceeded to seek a writ of habeas corpus in state court, pursuant to K.S.A. § 60-1507. Dudley's motion for habeas relief was denied by the district court, and he appealed to the Kansas Court of Appeals. The Court of Appeals reversed and remanded the case to the District Court for further proceedings.
The district court held an evidentiary hearing and made the following findings. Bock, who had represented Dudley in the past, was appointed to represent Dudley on his 2007 charges. Bock testified that given his criminal history and the nature of the offenses, Dudley was facing a maximum sentence of over 700 months as initially charged. Early in the 2007 proceedings, Bock had some concerns about Dudley's mental condition. Accordingly, he requested a competency evaluation, which was granted. The examiner found that Dudley was able to understand the nature of the proceedings and was able to assist in making his defense.
In preparing their defense, Dudley and Bock discussed the defense of mental disease or defect. Bock told Dudley that based on the results of his competency evaluation, there was no basis for raising such a defense. Bock based this decision on the circumstances of the offense, his evaluation of the evidence, his discussions with Dudley, Dudley's demeanor, and the findings made by the competency evaluator. Bock relied on the competency evaluation even though he was aware that the examination did not directly address Dudley's mental state at the time of the offense.
At the evidentiary hearing, Dudley claimed that Bock told him that the insanity defense had been abolished in Kansas.
Based on this evidence, the District Court denied Dudley's request for habeas relief. The Kansas Court of Appeals affirmed the District Court's ruling.
The Court's consideration of a state prisoner's collateral attacks on state criminal proceedings is governed by the Antiterrorism and Effective Death Penalty Act ("AEDPA"), which "requires federal courts to give significant deference to state court decisions."
A state court decision is contrary to Supreme Court precedent when: (1) "the state court applies a rule that contradicts the governing law set forth in [a United States Supreme Court] case" or (2) "the state court confronts a set of facts that are materially indistinguishable from a decision of [the United States Supreme] Court and nevertheless arrives at a result different from [Supreme Court] precedent."
Dudley argues that he was denied his Sixth Amendment right to the effective assistance of counsel because his attorney failed to pursue a mental disease or defect defense in his case. He also contends that the use of his prior juvenile convictions to enhance his sentence violated Supreme Court precedent set forth in Apprendi v. New Jersey
In Strickland v. Washington,
"There is a strong presumption that counsel's performance falls within the `wide range of professional assistance'; the [petitioner] bears the burden of proving that counsel's representation was unreasonable under prevailing professional norms and that the challenged action was not sound strategy."
Applying the Strickland standard, the state court found that Dudley's counsel acted reasonably, and thus, his Sixth Amendment rights were not violated. This Court agrees and finds that Dudley is not entitled to habeas relief because the state court reasonably applied the Strickland standard.
As the state court found, the record shows that Bock was well equipped to represent Dudley. Bock had known Dudley for about eight years and had decades of experience as a criminal lawyer. Bock was familiar with both Dudley and the defense of mental disease or defect—he would have been well suited to determine whether such a defense was viable in this particular case. And although the competency report did not address Dudley's mental state at the time of his offenses, it would certainly provide a general insight into Dudley's mental condition. Ultimately, the record shows that Bock's decision not to raise a defense of mental disease or defect was a well-informed, strategic decision. "Whether to raise a particular defense is one aspect of trial strategy, and informed `strategic or tactical decisions on the part of counsel are presumed correct, unless they were completely unreasonable, not merely wrong.'"
Bock's decision to pursue a plea deal, rather than attempt to raise a defense of mental disease or defect, was reasonable and based on extensive experience and review of the facts surrounding Dudley's case. Accordingly, the state court reasonably applied the Strickland standard. Dudley's Sixth Amendment right to counsel was not violated by Bock's representation.
Dudley's sentence was enhanced in part due to his prior juvenile convictions.
In Apprendi, the Supreme Court held that "[o]ther than the fact of a prior conviction, any fact that increases the penalty for a crime beyond the prescribed statutory maximum must be submitted to a jury, and proved beyond a reasonable doubt."
Although the Tenth Circuit has been silent on the issue of prior juvenile convictions under Apprendi, the question in this case is not what the Tenth Circuit would rule. Rather, the standard is whether Kansas' interpretation is contrary to, or involved an unreasonable application of, Supreme Court precedent. The Tenth Circuit has considered the reasonableness of Kansas's application of Apprendi, and held "Kansas's use of [a] prior juvenile conviction is neither contrary to, nor an unreasonable application of, clearly established Supreme Court precedent."
After carefully reviewing the record, the Court finds that the Kansas Court of Appeals' ruling was not an unreasonable application of United States Supreme Court precedent. The record shows that Dudley was afforded effective assistance of counsel and the use of his prior juvenile convictions to enhance his sentence did not violate any of his constitutional rights.