Summary
In Campbell the Sixth Circuit concluded the relevant language in Adams III relied on by this Court to allow lethal injection invalidity claims after Glossip v. Gross, 135 S.Ct. 2726 (2015), was dictum and therefore not binding on the Campbell panel. 874 F.3d at 463-64.
Summary of this case from Sheppard v. JenkinsOpinion
No. 17–6688 (17A505).
11-14-2017
Application for stay of execution of sentence of death presented to Justice KAGAN and by her referred to the Court denied. Petition for writ of certiorari to the United States Court of Appeals for the Sixth Circuit denied.