Supreme Court of Arkansas
Danny Henington v. State of Arkansas
October 11, 2018556 S.W.3d 518
Summary
The court denied Henington's second petition for permission to seek coram nobis relief because the alleged nondisclosure did not establish a Brady violation, the remaining claims were outside the writ's scope, and he failed to exercise due diligence. The police report was known at trial and could have been obtained by the defense, while challenges to witness credibility and evidentiary rulings were matters that could have been addressed at trial or on direct appeal.