The Commission on Capital Cases updates thisinformation regularly. This information, however, is subject to changeand may not reflect the latest status of an inmate’s case and should not berelied upon for statistical or legal purposes.
FENNIE, Alfred Lewis (B/M)
AKA Ezell Foster
DC# 490989
DOB: 12/28/61
Fifth Judicial Circuit, Hernando County Case # 91-756
Sentencing Judge: The Honorable Jack Springstead
Attorney, Trial: Alan Fanter &Hugh Lee – Assistant Public Defender
Attorney, Direct Appeal: Michael S. Becker – AssistantPublic Defender
Attorney, Collateral Appeals: D. Todd Doss – Registry
Date of Offense: 09/08/91
Date of Sentence: 12/01/92
Circumstances of Offense:
On 09/08/91, Mary Shearin left herhome, driving a 1986 Cadillac. Later that day, two men found a body lyingface down on the side of a road. Police officers discovered that the handswere bound behind the back and the victim had been shot once in the back of thehead. Police later determined the body to be that of Mary Shearin.
On 09/09/91, police found Shearin’svehicle being driven by two men, who identified themselves as Ezell Foster andAnsell Rose. After the car was impounded, police found the .25 caliberpistol that fired the bullet recovered from Shearin’sbody and a piece of rope that matched the rope used to bind Shearin’shands.
Upon further police investigation, it was determined thatEzell Foster was an alias for Alfred Fennie and Ansell Rose was an alias for MichaelFrazier. Additionally, police determined that money had been taken from Shearin’s account with her ATM card.
Fennie and Frazier each implicatedthe other as the person responsible for the kidnapping and murder of Shearin.
Codefendant Information:
Michael Frazier was also charged with First-Degree Murder,Armed Kidnapping, and Armed Robbery. He was sentenced to lifeimprisonment due to an agreement with the State to provide information inexchange for the State agreeing not to seek the death penalty.
Prior Incarceration History in the State ofFlorida:
Prior to the murder, Fennie had asubstantial criminal history. The following is a summary of Fennie’s prison and community supervision history inFlorida since 1983.
Prior Prison History: |
Offense Date | Offense | Sentence Date | County | Case No. | Prison Sentence Length | | |
09/08/1986 | UTTERING FORGERY | 01/28/1988 | HILLSBOROUGH | 8617583 | 3Y 6M 0D | | |
09/12/1986 | GRAND THEFT,$300 LESS &20,000 | 01/28/1988 | HILLSBOROUGH | 8617583 | 3Y 6M 0D | | |
10/28/1986 | UTTERING FORGERY | 12/29/1987 | HILLSBOROUGH | 8616282 | 3Y 6M 0D | | |
02/26/1987 | UTTERING FORGERY | 01/20/1988 | HILLSBOROUGH | 8705685 | 5Y 0M 0D | | |
02/26/1987 | GRAND THEFT,$300 LESS &20,000 | 01/20/1988 | HILLSBOROUGH | 8705685 | 5Y 0M 0D | | |
03/06/1987 | UTTERING FORGERY | 01/20/1988 | HILLSBOROUGH | 8708985 | 5Y 0M 0D | | |
03/06/1987 | GRAND THEFT,$300 LESS &20,000 | 01/20/1988 | HILLSBOROUGH | 8708985 | 5Y 0M 0D | | |
03/31/1987 | UTTERING FORGERY | 01/20/1988 | HILLSBOROUGH | 8707510 | 5Y 0M 0D | | |
10/27/1987 | UTTERING FORGERY | 01/20/1988 | HILLSBOROUGH | 8713959 | 5Y 0M 0D | | |
10/27/1987 | GRAND THEFT,$300 LESS &20,000 | 01/20/1988 | HILLSBOROUGH | 8713959 | 5Y 0M 0D | | |
08/26/1988 | ESCAPE | 08/09/1989 | HILLSBOROUGH | 8812409 | 3Y 6M 0D | | |
Prior Community Supervision History: |
Offense Date | Offense | Sentence Date | County | Case No. | Community Supervision Length | | |
03/21/1983 | BURGUNOCCSTRUC/CV OR ATT. | 08/24/1983 | HILLSBOROUGH | | 3Y 0M 0D | | |
08/24/1983 | FRAUD-CHECK | 08/24/1983 | HILLSBOROUGH | | 3Y 0M 0D | | |
Trial Summary:
09/27/91 Indicted as follows:
Count I First-Degree Murder
Count II ArmedKidnapping
Count III Armed Robbery
11/12/92 Jury returned guilty verdicts on all counts of the indictment
11/13/92 Jury recommended death by a vote of 12-0
12/01/92 Sentenced as follows:
Count I First-Degree Murder – Death
Count II ArmedKidnapping – Life Imprisonment
Count III Armed Robbery –Life Imprisonment
Appeal Summary:
Florida Supreme Court – Direct Appeal
FSC# 80,923
648 So.2d 95
12/16/92 Appeal filed
07/07/94 FSC affirmed convictions and sentences
08/25/94 Rehearing denied
09/28/94 Mandate issued
U.S. Supreme Court – Petition for Writ of Certiorari
USSC# 94-7030
513 U.S. 1159
11/25/94 Petition filed
02/21/95 USSC denied Petition
Circuit Court – 3.850 Motion
CC# 91-756
03/19/97 Motion filed
03/22/00 Motion amended
10/08/01 Circuit Court denied Motion
Florida Supreme Court – 3.850 Motion Appeal
FSC# 01-2480
855 So.2d 597
11/07/01 Appeal filed
07/11/03 FSC affirmed denial of 3.850 Motion
09/18/03 Rehearing denied
Florida Supreme Court – Petition for Writ of HabeasCorpus
FSC# 02-1180
855 So.2d 597
05/28/02 Petition filed
07/11/03 FSC denied Petition
09/18/03 Rehearing denied
10/20/03 Mandate issued
U.S. Supreme Court – Petition for Writ of Certiorari
USSC# 03-7975
541 U.S. 975
11/03/03 Petition filed
04/05/04 USSC denied Petition
U.S. District Court, Middle District – Petition forWrit of Habeas Corpus
USDC# 03-2068
(Pending)
11/28/03 Petition filed.
01/04/11 Petition denied.
01/04/11 COA denied.
U.S. Court ofAppeals – Habeas Petition Appeal
USCA# 11-10808
(Pending)
02/04/11 Appealfiled.
Factors Contributing to the Delay in Imposition ofSentence:
Fennie filed a Petition for Writof Habeas Corpus with the U.S. District Court, Middle District, which waspending for over seven years (11/28/03 – 01/04/11).
Case Information:
Fennie filed a Direct Appeal withthe Florida Supreme Court on 12/16/92, citing the following errors: denyingdefense counsel’s requests for pre-trial and trial continuances; denying Fennie’s request to be present at Frazier’s deposition;denying requests for expanded instructions on aggravating factors;unconstitutionality of the heinous, atrocious, or cruel and cold, calculated,premeditated aggravating factors; denying penalty-phase mistrial motion;erroneously finding aggravating factors; and unconstitutionality of Florida’sdeath penalty scheme. On 07/07/94, the FSC affirmed Fennie’sconvictions and sentences.
Fennie filed a Petition for Writof Certiorari with the U.S. Supreme Court on 11/25/94, and the USSC denied thePetition on 02/21/95.
Fennie filed a 3.850 Motion withthe Circuit Court on 03/19/97 and amended the Motion on 03/22/00. On10/08/01, the Circuit Court denied the Motion.
Fennie filed a 3.850 Motion Appealwith the Florida Supreme Court on 11/07/01, citing claims of ineffectiveassistance of counsel and denial of two of Fennie’s3.850 Motion claims without a hearing. On 07/11/03, the FSC affirmed thedenial of the 3.850 Motion.
Fennie filed a Petition for Writof Habeas Corpus with the Florida Supreme Court on 05/28/02, primarily citingclaims of ineffective assistance of appellate counsel. On 07/11/03, theFSC denied the Petition.
Fennie filed a Petition for Writof Certiorari with the U.S. Supreme Court on 11/03/03 that was denied on04/05/04.
Fennie filed a Petition for Writof Habeas Corpus with the U.S. District Court, Middle District, on 11/28/03.That petition was denied on 01/04/11. Fennie’sCertificate of Appealability was also denied on01/04/11.
Fennie filed a Habeas Appeal inthe U.S. Court of Appeals on 02/04/11. That appeal is pending,
________________________________________________________________________
Report Date: 07/17/03 JFL
Approved: 07/24/03 WS
Updated: 03/30/11 JJK