Campbell v. Smith

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Campbell pleaded guilty in state court to first degree sexual assault of a child (his 10-year-old daughter). The maximum sentence was 60 years. The state agreed to dismiss three other counts and recommend a sentence of no more than 20 years, with no more than five to seven years’ initial confinement and the balance as extended supervision. The presentence report recommended 20-40 years’ initial confinement and seven to 10 years’ extended supervision. The state recommended a sentence in accordance with the plea agreement. The court sentenced Campbell to 30 years’ initial confinement and 10 years’ extended supervision. On remand, the prosecutor did not refer to the plea agreement not did defense counsel object to the omission, but the court was made aware of the agreement. The prosecutor spoke of the need to protect Campbell’s daughter and the public. The court imposed an initial term of 34 years. The state appeals court affirmed. The district court denied habeas relief. The Seventh Circuit affirmed, holding that the Wisconsin Court of Appeals did not unreasonably apply Supreme Court precedent in deciding that Campbell could not establish that counsel was ineffective in failing to object because the prosecutor had not materially and substantially breached the plea agreement.View "Campbell v. Smith" on Justia Law