United States v. Raymond Adams

CourtCourt of Appeals for the Sixth Circuit
DecidedMarch 7, 2023
Docket21-1497
StatusUnpublished

This text of United States v. Raymond Adams (United States v. Raymond Adams) is published on Counsel Stack Legal Research, covering Court of Appeals for the Sixth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
United States v. Raymond Adams, (6th Cir. 2023).

Opinion

NOT RECOMMENDED FOR PUBLICATION File Name: 23a0116n.06

No. 21-1497

UNITED STATES COURT OF APPEALS FILED FOR THE SIXTH CIRCUIT Mar 07, 2023 DEBORAH S. HUNT, Clerk ) UNITED STATES OF AMERICA, ) Plaintiff-Appellee, ON APPEAL FROM THE ) UNITED STATES DISTRICT ) v. COURT FOR THE EASTERN ) DISTRICT OF MICHIGAN ) RAYMOND W. ADAMS, ) OPINION Defendant-Appellant. ) )

Before: GRIFFIN, WHITE, and THAPAR, Circuit Judges.

HELENE N. WHITE, Circuit Judge. After he was convicted by a jury of drug and

firearm offenses, Defendant-Appellant Raymond Adams learned that his trial counsel had

represented another participant in the incident that gave rise to Adams’s convictions. Adams

moved for a new trial and an evidentiary hearing, contending he was deprived of his Sixth

Amendment right to counsel free of any conflict of interest. The district court denied relief and,

finding no error, we AFFIRM.

I.

On August 30, 2017, law enforcement executed a search warrant for Adams’s home in

Inkster, Michigan, and found, among other things, crack cocaine, powder cocaine, heroin, and

firearms. Adams told law enforcement that, when they entered the home, he was in the basement

with his friend, Bobby Jenkins. Occupants of a car parked outside Adams’s house at the time of

the search also stated that Jenkins was in Adams’s basement; officers found Jenkins’s wallet and

$5000 cash in the car. Law enforcement, however, did not find Jenkins in the house nor did they No. 21-1497, United States v. Adams

see him flee the scene. Adams was arrested the day of the search, and so was Jenkins sometime

later.1

Attorney Kenneth Scott entered an appearance on behalf of Jenkins on September 12, 2017,

in relation to a petition charging Jenkins with violating the terms of his supervised release based

on his conduct at Adams’s house.2 In relevant part, the petition alleged that, at Adams’s home,

Jenkins both committed a federal, state, or local crime and associated with persons engaged in

criminal activity and/or persons convicted of a felony. A hearing was held on September 12, 2017,

at which the government called Officer Neil Egan, who testified to the events at Adams’s house.

Officer Egan testified that Adams had a prior felony conviction, that law enforcement recovered

drugs from the basement, and that law enforcement believed Jenkins was downstairs with Adams

just before the execution of the search warrant – although neither he nor members of his team saw

Jenkins at the scene. Officer Egan also testified that Adams had video surveillance at his home

but that he was unaware whether the surveillance recording was retrieved or reviewed. In

summation, the government argued that Jenkins had constructive possession of the drugs in

Adams’s basement. The district court declined to make that finding. The district court

nevertheless concluded that, by being at Adams’s home, Jenkins had associated with persons

engaged in criminal activity and/or convicted of a felony. On September 19, 2017, the district

court revoked Jenkins’s supervised release and sentenced him to 12 months incarceration. Scott

represented Jenkins for a total of eight days.

1 Jenkins was arrested because “he had a warrant out for his arrest for something unrelated to” the events at Adams’s house. R.86 PID 1174. The precise date of Jenkins’s arrest is not in the record. 2 The filings related to Jenkins’s violation of supervised release proceedings can be found at United States v. Jenkins, No. 04-80033 (E.D. Mich.). -2- No. 21-1497, United States v. Adams

Adams was charged in a seven-count indictment.3 Scott entered an appearance on behalf

of Adams on September 11, 2017—i.e., one day before he did so on behalf of Jenkins. Adams’s

trial began over a year later, on January 23, 2019. Scott’s opening statement to the jury proposed

that Adams was not the owner of the drugs; rather, they belonged to others in the house who fled.

As it had at Jenkins’s violation of supervised release hearing, the government called Officer

Egan as a witness at Adams’s trial. Officer Egan testified that law enforcement recovered drugs

from Adams’s home and concluded they were Adams’s. He testified on cross examination:

Q. In fact, everything that you located in the house you indicated that it belonged to Mr. Adams. Is that a fair statement? A. That’s a fair statement. Q. And you never saw Mr. Adams in possession of any of these items; is that a fair statement? A. Correct. Q. So you indicated that it belonged to him. Was your reason behind that he was the man of the house? A. Well, it’s based on the totality of the investigation.

R.86 PID 1020. Officer Egan also recalled seeing security cameras as he approached Adams’s

house but could not recall any cameras or recording equipment inside the house. His testimony

specifically addressed Jenkins only once, when the government, on redirect, asked him about

Jenkins’s arrest shortly after the search of Adams’s house. Although Scott did not ask Officer

3 Adams’s seven charges were: (1) possession with intent to distribute crack cocaine, 21 U.S.C. § 841; (2) possession with intent to distribute powder cocaine, 21 U.S.C. § 841; (3) possession with intent to distribute heroin, 21 U.S.C. § 841; (4) possession of a firearm in furtherance of a drug trafficking offense, 18 U.S.C. § 924(c); (5) possession of a firearm by a previously convicted felon, 18 U.S.C. § 922(g)(1); (6) possession of ammunition by a previously convicted felon, 18 U.S.C. § 922(g)(1); and (7) maintaining a drug involved premises, 21 U.S.C. § 856. -3- No. 21-1497, United States v. Adams

Egan about Jenkins, he questioned other government witnesses about Jenkins’s presence at the

house.

After the government rested its case-in-chief, Scott moved to dismiss the one count

stemming from crack cocaine (which was found only in the basement) because, in part, “there was

a Bobby Jenkins in the basement” and no testimony concerned Adams’s participation in any drug

distribution. R.87 PID 1288-89. The government opposed, pointing out that no testimony or

evidence proved “that Mr. Jenkins was, in fact, in the residence at the time of the search.” Id. PID

1291. The district court denied Adams’s motion.

At some point during the trial, the issue of Scott’s representation of Jenkins came up during

a sidebar, but the conversation was not transcribed. The government attorney recalled stating to

Scott, “it’s kind of ironic that you represented Bobby Jenkins as well,” to which Scott responded,

“I’m aware of that, but that was a different case and that was a different day.” R.160 PID 2723.

Only one of Adams’s defense witnesses mentioned Jenkins, testifying that Jenkins was in

Adams’s basement immediately before the search and that the witness did not know when Jenkins

left. This witness and other defense witnesses also testified that Adams had surveillance and

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