United States v.âŻMellette. Your military defense counsel needs to know about and understand this case.
đ 1. Background and Prior History
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Accused & Charges
EM1 (Nuclear) Wendell E. Mellette, Jr. was tried by general court-martial at NAS Jacksonville in August 2019. Contrary to his plea, he was convicted under Article 120b, UCMJ (sexual abuse of a child) for committing sexual contact upon his 15-yearâold sister-in-law. He received five yearsâ confinement and a dishonorable discharge afcca.law.af.mil+10Lewis & Clark Law School+10Findlaw+10. -
Preâtrial Motion
Mellette sought the victimâs mental-health recordsâincluding diagnoses, treatment plans, and prescribed medicationsâto explore potential effects on her memory, truthfulness, and suggestibility Lewis & Clark Law Schooljagcnet.army.mil+5armfor.uscourts.gov+5Supreme Court+5. -
Military Judgeâs Denial
The court denied this motion, ruling the records were protected under the psychotherapistâpatient privilege (M.R.E.âŻ513(a)) and that Mellette had not shown them to be relevant and necessary under R.C.M. 703 Findlaw+11armfor.uscourts.gov+11Supreme Court+11.
đ§ 2. Navy-Marine Corps CCA Decision (May 14, 2021)
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Privilege Scope Extension
The NMCCA ruled that M.R.E. 513(a) indeed covers diagnoses, treatment, and medication records, not just patientâtherapist communications armfor.uscourts.gov+3armfor.uscourts.gov+3armfor.uscourts.gov+3. -
Waiver Finding
The court found the victim waived privilege by discussing her diagnoses and treatment with third parties afcca.law.af.mil+12Lewis & Clark Law School+12armfor.uscourts.gov+12. -
Relevance and Necessity
NMCCA held the mental-health records were relevant and necessary to Melletteâs defense (i.e., potential bias, credibility issues) Supreme Court+6Lewis & Clark Law School+6armfor.uscourts.gov+6. -
Right to In-Camera Review
They held that due process and Confrontation Clause rights required in-camera review of those records armfor.uscourts.gov+3Lewis & Clark Law School+3armfor.uscourts.gov+3. -
Harmless Error & Remedial Action
The court found errors related to exclusion of records, expert testimony on âgrooming,â and victim impact statements recommending a sentenceâbut ultimately deemed them harmless beyond a reasonable doubt given overwhelming evidence of guilt. The guilty finding was affirmed after narrowing the specification, removing âon divers occasionsâ Lewis & Clark Law School+1armfor.uscourts.gov+1.
đď¸ 3. CAAF Review and Remand
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The CAAF granted review (Sept 7, 2021) on the scope of the privilege and prejudice analysis armfor.uscourts.gov+13Lewis & Clark Law School+13Department of Justice+13.
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It later clarified that M.R.E. 513 does not categorically exclude all records containing diagnoses and treatments; protected content turns on whether communications are confidential and for therapeutic purposes Lewis & Clark Law School+8jagcnet.army.mil+8armfor.uscourts.gov+8.
CAAFâs 2022 Opinion â Clarifying the Scope of M.R.E. 513
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Core Holding: The Court of Appeals for the Armed Forces (CAAF) held that Military Rule of Evidence 513(a) protects only confidential communications between a patient and psychotherapist, not all mental health records or documentation of diagnoses/treatment plans Stjececmsdusgva001+15U.S. Courts â Armed Forces+15Supreme Court+15.
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Textual Interpretation: The term âcommunication made between the patient and a psychotherapistâ was interpreted literallyâexcluding broader medical records that do not memorialize direct communications U.S. Courts â Armed Forces+3Jag Reporter+3Air Force Court of Criminal Appeals+3. The CAAF emphasized that, if broader privilege was intended, it would have been clearly incorporated, as seen in similar state statutes Wikipedia+15JAGCNet+15U.S. Courts â Armed Forces+15.
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Strict Construction Principle: In line with Trammel v. United States and allied precedent, privileges are to be construed narrowly because they conflict with truth-seeking goals DACIPAD+4U.S. Courts â Armed Forces+4Supreme Court+4.
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Thus, the matter was remanded for further proceedings to assess the level of privilege, appropriate waiver, and prejudice armfor.uscourts.gov+3Department of Justice+3armfor.uscourts.gov+3.
đ 4. Key Legal Issues
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Scope of M.R.E. 513(a)
Does the privilege encompass diagnoses, treatments, and medication records, or solely communications? The NMCCA broadly held yes armfor.uscourts.gov+4armfor.uscourts.gov+4Department of Justice+4Department of Justice+2armfor.uscourts.gov+2armfor.uscourts.gov+2; CAAF later narrowed the scope, requiring confidentiality and therapeutic purpose rather than automatic inclusion . -
Waiver Analysis
Whether the victimâs voluntary disclosures to third parties waived privilege, and if so, to what extent (specific communications, diagnoses, or full records). -
Due ProcessâIn-Camera Review
Whether Mellette was denied his rights by being prevented from conducting independent review of protected materials. -
Harmless Error Considerations
Even if privilege was misapplied or improperly excluded, whether these errors materially prejudiced Melletteâs defense or sentencing.
âď¸ 5. Analysis & Implications
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Navigating Privilege vs. Defense Rights
Mellette emphasizes the tension between victim psychotherapistâpatient privilege and the accusedâs constitutional right to a full defense, including the ability to challenge credibility via mental-health factors. -
Refinement of M.R.E. 513
The case underscores that even if certain records reference diagnoses or treatments, privilege applies only if communications were confidential and intended for diagnosis/treatment. -
In-Camera Review as Safeguard
Ensures a court can assess relevance and confidentiality before deciding what must be disclosedâmaintaining balance between privacy and fair trial rights. -
Prejudice Standard Crucial
The appellate findings demonstrate courts will consider whether errors affected the outcome or sentence, not merely if errors occurred.
â Conclusion
United States v.âŻMellette is pivotal in military law for clarifying the scope and limits of the psychotherapist-patient privilege under M.R.E. 513. It stresses precise waiver inquiries and underscores inâcamera review as a procedural necessity. The case highlights the delicate balance between preserving witness confidentiality and safeguarding the accusedâs constitutional rights to a fair and complete defense.
Upon remand, the fact-finder must evaluate which portions of mental-health records are shielded, whether the victim relinquished privilege, and whether Mellette suffered actual prejudiceâensuring due process and evidentiary fairness.