Chambers v. Florida
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Chambers v. Florida, 309 U.S. 227 (1940) was an important United States Supreme Court case dealing with the unjust convictions of three black men in the South.
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The Case
Argued in front of the court by Thurgood Marshall, actually representing three black men convicted for the murder of a white man in Florida.
The defendant Chambers, along with three other co-defendants, were four of up to forty transient black men arrested for the murder of Robert Darcy, an elderly local man, in Pompano, Florida. The murder was greeted with outrage in the community and the Broward County Sheriff's department was aparently under pressure to close the case. Chambers and the other defendants were taken to Miami for questioning, ostensibly to protect them from the mob that had formed, and then to Fort Lauderdale.
It was not contested that the defendants were held without being able to see a lawyer or be arraigned for a period of a week, or that they were subject to questioning on a random basis, often alone in a room with up to ten police officers and other members of the community. In the legal climate before Miranda, they were not informed of their right to remain silent. After a week of questioning, and despite previous denials, the four co-defendants eventually confessed to the crime and were convicted of capital murder and sentenced to death. Their appeals to the Florida Court of Appeals was rejected on the grounds that the jury had ruled the confessions had been given voluntarily.
The Decision
The unanimous opinion of the court was, interestingly enough, delivered by Justice Hugo Black of Alabama.
This was Marshall's first of many triumphs in front of the nation's highest tribunal; the Court found in favor of Chambers, et. al., and overturned their convictions. The court found that on the facts admitted by the police and sheriff's officers, the confessions had clearly been compelled and were therefore inadmissible. It marked one of the first times that the court had accepted the contention that treatment short of physical violence should result in the suppression of evidence.
It should be noted that several of the features of this case, such as not allowing the defendant to contact anyone, holding them without formal charges or arraignment, and denying them counsel during questioning were common tactics in law enforcement at the time and were eventually rejected by the court in Miranda v. Arizona.
See also
External links
- Full text of the decision courtesy of Findlaw.com (http://laws.findlaw.com/us/309/227.html)