Justia Mississippi Supreme Court Opinion Summaries
Boyd v. Smith
Two cases were consolidated for review. In the first, Amanda Boyd and George Ben Ratcliff Jr. (George Ben Jr.) filed a complaint challenging an inter vivos gift of real property to Patricia Smith, which ended in the trial court’s grant of summary judgment to Smith. Boyd and George Ben Jr. appeal the trial court’s grant of summary judgment in Smith’s favor. In the second, the trial court granted summary judgment to Patricia Smith in a will contest filed by Boyd and her brother George Ben Jr. The trial court granted summary judgment pursuant to Mississippi Code Section 91-7-23 (Rev. 2018), which provides a two- year statute of limitations to contest a probated will. Finding no reversible error in either case, the Mississippi Supreme Court affirmed the chancery court. View "Boyd v. Smith" on Justia Law
Posted in:
Civil Procedure, Trusts & Estates
GEICO Casualty Company, et al. v. Stapleton
Bennie Stapleton sued GEICO for abusing the judicial process after GEICO obtained a default judgment against him that was later set aside. An interlocutory appeal arose from the circuit court's denial of GEICO’s motion to dismiss Stapleton’s complaint on statute-of-limitations grounds. The Mississippi Supreme Court took the opportunity presented by this case to overrule the recent judicial expansion of Mississippi Code Section 15-1-35 (Rev. 2019) because earlier Supreme Court decisions "strayed too far from the statute’s clear text." The Supreme Court affirmed the circuit court’s order and remanded the case for further proceedings. View "GEICO Casualty Company, et al. v. Stapleton" on Justia Law
Posted in:
Civil Procedure, Insurance Law
Randell v. Mississippi
Tony Randell Barnett, Jr., was convicted of armed bank robbery. The sole issue on appeal was whether the evidence presented at trial was sufficient to support Barnett’s conviction. After review of the trial court record, the Mississippi Supreme Court found no reversible error and affirmed Barnett's conviction. View "Randell v. Mississippi" on Justia Law
Posted in:
Constitutional Law, Criminal Law
Sandoval v. Mississippi
Sergio Sandoval was convicted on two counts of touching a child for lustful purposes and one count of sexual battery and was sentenced to fifteen years for each count of touching and thirty years for sexual battery, all to run concurrently. Sandoval only appealed the trial court’s ruling that he was competent to stand trial. After review, the Mississippi Supreme Court found the trial court did not err by finding Sandoval competent. View "Sandoval v. Mississippi" on Justia Law
Posted in:
Constitutional Law, Criminal Law
Kerr v. Kerr
The chancery court granted divorce to William Jack ("BJ") Kerr on the ground of habitual cruel and inhuman treatment and its award of joint custody of the minor child, WHK. India Kerr argued the chancellor erred by granting her ex-husband's petition for divorce and not her own. She also sought an amendment to the custody award, arguing the chancellor's Albright analysis was incorrect. Finding no reversible error, the Mississippi Supreme Court affirmed the chancery court's judgment. View "Kerr v. Kerr" on Justia Law
Posted in:
Family Law
Buchanan v. Mississippi
In 2015, D’Alandis Love, Perez Love, Kelsey Jennings, and Ken-Norris Stigler were driving in a red Pontiac headed to the Moroccan Lounge when a gold Tahoe approached as they were driving and opened fire. D’Alandis Love was killed. Perez Love, Jennings, and Stigler were seriously injured. Armand Jones, Sedrick Buchanan, Michael Holland, Jacarius Keys, and James Earl McClung, Jr., were developed as suspects in the shooting. Keys, accompanied by his attorney, went to the Sheriff’s Department and gave a videotaped statement to investigators implicating Jones, Holland, Buchanan, and McClung in the shooting. Keys, Jones, Holland, Buchanan, and McClung were later indicted and charged with one count of first-degree murder and three counts of attempted first-degree murder. Approximately five months after the men were indicted, Keys was shot and killed. Holland and Buchanan were considered suspects in Keys’s death. It is undisputed that at the time of Keys’s death, Jones was incarcerated. Before trial, Jones, Holland, Buchanan, and McClung moved to exclude Keys’s videotaped statement based on hearsay and the Sixth Amendment Confrontation Clause. The trial court denied the motion and allowed the statement to be admitted into evidence under Mississippi Rules of Evidence 804(b)(3) (the statement-against-interest hearsay exception), 804(b)(5) (the catch-all hearsay exception), and 804(b)(6) (the forfeiture-by-wrongdoing hearsay exception). The issue this case presented for the Mississippi Supreme Court's review centered on whether that videotaped statement could be introduced against a defendant under Rule 804(b)(6). The Court found that because the record showed Jones forfeited by wrongdoing his constitutional right to confront the witness, his convictions of murder and attempted murder were affirmed. But because there was insufficient evidence presented to support Buchanan’s convictions of aggravated assault, the Court reversed and rendered a judgment of acquittal as to Buchanan. View "Buchanan v. Mississippi" on Justia Law
Posted in:
Constitutional Law, Criminal Law
Harris v. Mississippi
Jeremy Harris was convicted of attempted burglary of a dwelling with the intent to commit larceny and was sentenced to a term of ten years, with five years suspended. Harris argued on appeal that the trial court erred by granting a mistrial in his first trial. As the record from the first trial was not made part of the record on appeal, the Mississippi Supreme Court ordered that the record be supplemented. The parties were directed to file supplemental briefing if they so chose, and each filed a supplemental brief. Then after review of the entire record, the Supreme Court reversed the conviction and sentence, finding that the mistrial in Harris’s first trial was not manifestly necessary. In the absence of manifest necessity, the constitutional protection against double jeopardy prohibited a second trial for the same crime. View "Harris v. Mississippi" on Justia Law
Posted in:
Constitutional Law, Criminal Law
Dickerson v. Mississippi
David Dickerson was convicted by jury of killing his ex-girlfriend and mother of his daughter by shooting and then burning her. In 2015, the Mississippi Supreme Court affirmed Dickerson’s capital-murder conviction and sentence of death, along with related convictions and sentences for arson and armed robbery. Dickerson petitioned for post-conviction relief, arguing he was “he is intellectually disabled as defined by the Court in [Atkins] and thus he is ineligible for the death penalty.” Specifically, Dickerson insists that the PCR “and its accompanying affidavits[] contai[n] much evidence that” he “meets all three criteria for mental retardation”—“subaverage intellectual functioning[,]” “significant deficits in adaptive functioning[,]” and that the “deficits manifested before age 18.” The Supreme Court again declined post-conviction relief, finding that Dickerson’s PCR claims were barred and/or failed to present a substantial showing of the denial of a state or federal right. View "Dickerson v. Mississippi" on Justia Law
Posted in:
Constitutional Law, Criminal Law
Johnson & Johnson Consumer Companies, Inc. v. Fitch
Two cases consolidated for the Mississippi Supreme Court's review presented common questions of the validity of a cause of action brought by the Mississippi Attorney General under the Mississippi Consumer Protection Act, Mississippi Code Section 75-24-5. The first was whether the Act covered the State’s claim, and the second was whether that claim was preempted by federal law. In 2014, the State commenced an action against Johnson & Johnson for what it alleged to have been unlawful, unfair, and deceptive business practices related to its cosmetic talcum powder products. Specifically, the State alleged that Johnson & Johnson failed to warn of the risk of ovarian cancer in women who used talc. The Chancery Court denied the summary judgment motion made by Johnson & Johnson and Johnson & Johnson Consumer, Inc. Johnson & Johnson then filed an interlocutory appeal of the chancellor’s decision, which the Supreme Court granted. The Court concluded the Act did not exclude the State's talc labeling claim. Further, because of the lack of any specific requirement by the Food and Drug Administration, the State’s claim was not barred by the principles of express or implied preemption. Therefore, the judgment of the Chancery Court was affirmed, and the case was remanded for further proceedings. View "Johnson & Johnson Consumer Companies, Inc. v. Fitch" on Justia Law
Carr v. Mississippi Lottery Corporation
In the year leading up to the Mississippi Legislature’s statutory creation of a lottery, Jonathan Carr registered more than fifty domain names with some iteration of the name Mississippi Lottery. The newly created Mississippi Lottery Corporation accused Carr of cybersquatting. Carr countered with a claim of reverse domain-name hijacking, asserting the Lottery had violated his ownership rights to the domain names, which he contended he registered in good faith to promote his religious opposition to gambling and to provide resources to those with gambling addictions. Carr and the Lottery filed competing motions for preliminary injunction aimed at gaining the right to five domain names; the trial court granted the Lottery's motion, issuing a permanent injunction against Carr, and ordering that he immediately transfer the five domain names to the Lottery. Carr appealed, arguing the Lottery failed to prove he committed cybersquatting. But the Mississippi Supreme Court concluded it could not address the merits of Carr’s claim because the order Carr appealed was not final and thus not appealable. View "Carr v. Mississippi Lottery Corporation" on Justia Law
Posted in:
Civil Procedure, Internet Law