In re Schoenhals
Held that Washington’s constitutional prohibition on mandatory life-without-parole sentences for 18-to-20-year-old offenders is a substantive constitutional rule that applies retroactively on collateral review
Held that Washington’s constitutional prohibition on mandatory life-without-parole sentences for 18-to-20-year-old offenders is a substantive constitutional rule that applies retroactively on collateral review
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