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Hamm v. Smith | Case No. 24-872 | Decided: May 21, 2026 | Docket Link: Here
Overview: Death penalty case examining how courts evaluate multiple IQ scores when determining intellectual disability under Atkins. Court dismissed writ as improvidently granted after oral argument revealed parties never litigated the question below.
Question Presented: Whether and how courts may consider the cumulative effect of multiple IQ scores in assessing Atkins claims.
Posture: Eleventh Circuit affirmed District Court finding Smith intellectually disabled using holistic approach.
Main Arguments:
Holding: Per curiam opinion dismissed writ of certiorari as improvidently granted. Justice Sotomayor wrote concurring opinion joined by Justice Jackson. Justice Thomas dissented. Justice Alito dissented, joined by Justice Thomas, with Justice Gorsuch joining Parts I–III. No substantive ruling on merits.
Majority Reasoning: Per curiam provided no reasoning. Two sentences: "The writ of certiorari is dismissed as improvidently granted. It is so ordered." Dismissal leaves Eleventh Circuit decision protecting Smith from execution intact without Supreme Court guidance on evaluating multiple IQ scores.
Opinion: Here
Separate Opinions:
Implications: Smith remains protected from execution. Courts nationwide lack Supreme Court guidance on multiple IQ scores beyond Hall and Moore principles. Holistic approach validated below remains permissible. Deep division among Justices signals potential vulnerability in Atkins doctrine. Defense attorneys gain validation for flexible methodologies; prosecutors cannot rely on rigid numerical cutoffs.
The Fine Print:
Primary Cases:
By SCOTUS Oral Arguments4.4
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Hamm v. Smith | Case No. 24-872 | Decided: May 21, 2026 | Docket Link: Here
Overview: Death penalty case examining how courts evaluate multiple IQ scores when determining intellectual disability under Atkins. Court dismissed writ as improvidently granted after oral argument revealed parties never litigated the question below.
Question Presented: Whether and how courts may consider the cumulative effect of multiple IQ scores in assessing Atkins claims.
Posture: Eleventh Circuit affirmed District Court finding Smith intellectually disabled using holistic approach.
Main Arguments:
Holding: Per curiam opinion dismissed writ of certiorari as improvidently granted. Justice Sotomayor wrote concurring opinion joined by Justice Jackson. Justice Thomas dissented. Justice Alito dissented, joined by Justice Thomas, with Justice Gorsuch joining Parts I–III. No substantive ruling on merits.
Majority Reasoning: Per curiam provided no reasoning. Two sentences: "The writ of certiorari is dismissed as improvidently granted. It is so ordered." Dismissal leaves Eleventh Circuit decision protecting Smith from execution intact without Supreme Court guidance on evaluating multiple IQ scores.
Opinion: Here
Separate Opinions:
Implications: Smith remains protected from execution. Courts nationwide lack Supreme Court guidance on multiple IQ scores beyond Hall and Moore principles. Holistic approach validated below remains permissible. Deep division among Justices signals potential vulnerability in Atkins doctrine. Defense attorneys gain validation for flexible methodologies; prosecutors cannot rely on rigid numerical cutoffs.
The Fine Print:
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