Rippo v. Baker

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A Nevada jury convicted Rippo of first-degree murder and other offenses and sentenced him to death. During his trial, Rippo received information that the judge was the target of a federal bribery probe, and he surmised that the Clark County District Attorney’s Office, which was prosecuting him, was playing a role in that investigation. Rippo unsuccessfully moved for the judge’s disqualification. After that judge’s indictment on federal charges a different judge denied Rippo’s motion for a new trial. The Nevada Supreme Court affirmed, reasoning that Rippo had not introduced evidence that state authorities were involved in the federal investigation. State courts denied post-conviction relief, reasoning that Rippo was not entitled to discovery or an evidentiary hearing because his allegations “d[id] not support the assertion that the trial judge was actually biased.” The Supreme Court vacated the Nevada Supreme Court’s judgment, stating that due process may sometimes demand recusal even when a judge “ ‘ha[s] no actual bias.’ Recusal is required when, objectively speaking, “the probability of actual bias on the part of the judge or decision-maker is too high to be constitutionally tolerable.” View "Rippo v. Baker" on Justia Law