Supreme Court of Delaware

Ashley v. State

January 3, 2017

Summary

The Court affirmed the denial of Ashley's motion for postconviction relief. It held that trial counsel was not constitutionally deficient for failing to move to suppress Ashley's videotaped confession because Ashley knowingly waived his Miranda rights and voluntarily participated in the interview without seeking to terminate it or requesting counsel. Because the first Strickland prong was not established, the Court did not address prejudice.