WHOLE WOMAN'S HEALTH ALLIANCE v. ROKITA
Case Details
- Nature of Suit
- 440 Civil Rights: Other
- Status
- Unknown
- Procedural Posture
- appeal
- State
- Indiana
- Circuit
- 7th Circuit
Related Laws
No specific laws identified for this ruling.
Claim Types
Outcome
The Rhode Island Supreme Court reversed the lower court's award of prejudgment interest, holding that the State Tort Claims Act's $50,000 damages cap does not include prejudgment interest. The judgment was reduced from $71,675 to $50,000.
Similar Rulings
The petitioner, Charles Smith (petitioner), was convicted of first-degree murder and sentenced to life without the possibility of parole for the gruesome killing of his ex-wife's daughter. After the Supreme Court denied the petitioner's appeal of his conviction, he filed this petition for postconviction relief (the petition), arguing that his trial counsel (1) failed to sufficiently inform the trial justice of the petitioner's mental health issues and (2) neglected to present evidence that, because the petitioner was not taking his medication at the time of the offense, he was incapable of inflicting the requisite harm to justify a sentence of life without parole. The Superior Court denied the petition and held that trial counsel's decision to not call the petitioner's doctor to testify at sentencing was strategic, and further, that the petitioner had not presented evidence showing that trial counsel's performance fell below an objective standard of reasonableness. The hearing justice further found that the petitioner did not meet his burden of showing prejudice. The Supreme Court discerned no error in the Superior Court's conclusion and declined to second-guess the determinations made by the Superior Court. Accordingly, the Supreme Court affirmed the judgment of the Superior Court.
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