Neha Patil (Editor)

Scott v. Illinois

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Full case name
  
Scott v. Illinois

Concurrence
  
Powell

Subsequent history
  
None

End date
  
1979

Citations
  
440 U.S. 367 (more) 99 S. Ct. 1158; 59 L. Ed. 2d 383; 1979 U.S. LEXIS 3

Prior history
  
Original action filed in U.S. Supreme Court; order to show cause why writ of mandamus should not issue, December, 1801

Majority
  
Rehnquist, joined by Burger, Stewart, White, Powell

Ruling court
  
Supreme Court of the United States

Similar
  
Argersinger v Hamlin, Alabama v Shelton, Johnson v Zerbst, Powell v Alabama, Betts v Brady

Scott v. Illinois, 440 U.S. 367 (1979), was a case heard by the Supreme Court of the United States. In Scott, the Court decided whether the Sixth and Fourteenth Amendments required Illinois to provide Scott with trial counsel.

Contents

Background

After being denied a request for court-appointed counsel, Scott was convicted in a bench trial of shoplifting and fined $50. The statute applicable to his case set the maximum penalty at a $500 fine and one year in jail.

Supreme Court decision

A plurality held that Illinois had not violated the Constitution. Writing for four of the justices, Rehnquist clarified the Court's holding in Argersinger v. Hamlin (1972) and argued that states could sentence a convicted criminal to imprisonment only if that person had been represented by counsel. Since Scott was not sentenced to imprisonment, even though the applicable statute allowed for it, the state was not obligated to provide counsel. Rehnquist called that line of reasoning "the central premise of Argersinger."

Justice Brennan dissented, drawing a distinction between "actual imprisonment" and "authorized imprisonment." He read Argersinger as saying that the right to jury trial existed when (1) a non-petty offense punishable by more than 6 months of jail time and (2) actual imprisonment was likely despite the authorized maximum penalty.

Brennan viewed authorized imprisonment as a more accurate standard because criminal statutes were written with this standard in mind and the social stigma attached to a crime took it into account.

Brennan also said the majority's reason for going with the actual imprisonment standard was budgetary. He said that this was an inappropriate standard when dealing with constitutional guarantees.

References

Scott v. Illinois Wikipedia