State v. Robinson, 809 S.E.2d 589 (2018)

March 1, 2018 · Supreme Court of North Carolina · 411A94-6
809 S.E.2d 589

STATE
v.
Marcus Reymond ROBINSON

411A94-6

Supreme Court of North Carolina.

March 1, 2018

Robert T. Thompson, Assistant District Attorney, G. Robert Hicks, III, Assistant District Attorney, William P. Hart, Sr., Senior Deputy Attorney General, Danielle Marquis Elder, Special Deputy Attorney General, Robert C. Montgomery, Special Deputy Attorney General, Jonathan Babb, Special Deputy Attorney General, William R. West, District Attorney, for State of NC.

Malcolm Ray Hunter, Jr., Attorney at Law, Jay H. Ferguson, Attorney at Law, Durham, James E. Ferguson, II, Attorney at Law, Charlotte, Cassandra Stubbs, Attorney at Law, D. Clark Smith, Jr., Attorney at Law, Donald H. Beskind, Attorney at Law, Raleigh, Kenneth J. Rose, Attorney at Law, Durham, David Weiss, Attorney at Law, for Robinson, Marcus Reymond.

Jonathan P. Babb, Special Counsel to Attorney General.

Edward Joseph Blocher, Jr., Attorney at Law, for Social Scientists.

Cynthia F. Adcock, Attorney at Law, for Murder Victims' Families for Reconciliation of NC.

Janet Moore, Attorney at Law, for N.C. Citizens Excluded from Jury Service Based on Race.

Burton Craige, Attorney at Law, Raleigh, Narendra K. Ghosh, Attorney at Law, Chapel Hill, James E. Williams, Jr., Attorney at Law, Carrboro, for N.C. Advocates for Justice.

Jeffrey Gerrish, Attorney at Law, James P. Cooney, III, Attorney at Law, Charlotte, Gregory B. Craig, Attorney at Law, Alex T. Haskell, Attorney at Law, for Former Senior U.S. Military Officials.

John R. Mills, Attorney at Law, for Experts in Law and Implicit Bias.

James E. Coleman, Jr., Attorney at Law, for Becton, Charles, et al.

Robert P. Mosteller, Attorney at Law, for Retired Members of the NC Judiciary.

The following order has been entered on the motion filed on the 30th of May 2017 by North Carolina Advocates for Justice for leave to file Amicus Curiae Brief:

"Motion Allowed by order of the Court in conference, this the 1st of March 2018."

Unless already submitted, the Amicus Brief shall be submitted to the court within the times allowed and in the manner provided by Appellate Rule 28(i).