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United States Supreme Court


Metrish v. Lancaster, 12-547

Defendant is not entitled to federal habeas relief, where: 1) after defendant's first trial but prior to his retrial, the Michigan Supreme Court 2001 decision in Carpenter, held that the diminished-capacity defense was not encompassed within the Michigan Legislature's comprehensive scheme for mental-illness defenses and thus could not be invoked by criminal defendants; 2) in light of U.S. Supreme Court precedent and the history of Michigan's diminished-capacity defense, the Michigan Court of Appeals' decision applying Carpenter retroactively at defendant's retrial is not an unreasonable application of clearly established federal law; and thus, 3) defendant's due process rights were not violated.

Appellate Information

  • Decided 05/20/2013
  • Published 05/20/2013

Judges

  • GINSBURG

Court

  • United States Supreme Court

Counsel

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