District court found that the defendant, Antun Lewis, suffers from mental retardation and is, therefore, ineligible for capital prosecution. In arriving at its conclusion the court addressed, inter alia, the following issues: (1) consideration of the Flynn Effect in individual cases and (2) issues of comorbidity in light of government assertions that a learning disability, ADHD, and conduct disorder were the bases of the defendant's limitations rather than an intellectual disability. Click here for full opinion.