Bennis v. Michigan

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Bennis v. Michigan
N.W.2d
483 (1994)
Holding
The forfeiture order did not offend the Due Process Clause of the Fourteenth Amendment or the Takings Clause of the Fifth Amendment.
Court membership
Chief Justice
William Rehnquist
Associate Justices
John P. Stevens · Sandra Day O'Connor
Antonin Scalia · Anthony Kennedy
David Souter · Clarence Thomas
Ruth Bader Ginsburg · Stephen Breyer
Case opinions
MajorityRehnquist, joined by O'Connor, Scalia, Thomas, Ginsburg
ConcurrenceThomas
ConcurrenceGinsburg
DissentStevens, joined by Souter, Breyer
DissentKennedy

Bennis v. Michigan, 516 U.S. 442 (1996), was a decision by the

civil forfeiture
.

Background

Tina B. Bennis was a joint owner, with her husband, of an automobile. Detroit police arrested her husband, John Bennis, after observing him engaged in a sexual act with a prostitute in the automobile while it was parked on a Detroit city street. In declaring the automobile forfeit as a public nuisance under Michigan's statutory abatement scheme, the trial court permitted no offset for petitioner's interest despite her lack of knowledge of her husband's activity. The Michigan Court of Appeals reversed but was, in turn, reversed by the Michigan Supreme Court, which concluded, among other things, that Michigan's failure to provide an innocent owner defense was without federal constitutional consequence under this Court's decisions.[citation needed]

See also

Sources

  • Beatty, M. E. (1996). "Bennis v. Michigan: The Supreme Court Clings to Precedent and Denies Innocent Owners a Defense to Forfeiture". Mercer Law Review. 48: 1265.
    ISSN 0025-987X
    .
  • Ingram, R. T. (1996). "The Crime of Property: Bennis v. Michigan and the Excessive Fines Clause". Denver University Law Review. 74: 293. .
  • .

External links

Text of Bennis v. Michigan, 516 U.S. 442 (1996) is available from: Cornell  Findlaw  Google Scholar  Justia  Library of Congress  Oyez (oral argument audio)