Airman Edward G. Scheffer of the U.S. Air Force was charged under the Uniform Code of Military Justice with wrongful use of methamphetamine after a random urinalysis tested positive. Scheffer denied knowingly ingesting the drug and, during the investigation, voluntarily submitted to a polygraph examination administered by a qualified examiner. The examiner concluded that Scheffer's denials showed no deception. Before trial, Scheffer sought to introduce the polygraph results and the examiner's testimony to corroborate his defense that any ingestion, if it occurred, was unknowing. The military judge excluded the evidence under Military Rule of Evidence (M.R.E.) 707, which provides a categorical bar on the admission of polygraph results, examiner opinions, and any reference to taking or refusing a polygraph. Scheffer was convicted at a general court-martial. On appeal, the United States Court of Appeals for the Armed Forces held M.R.E. 707 unconstitutional as applied, concluding that the per se exclusion violated the accused's Sixth Amendment right to present a defense. The United States sought and obtained Supreme Court review.
Does M.R.E. 707's categorical exclusion of polygraph evidence in courts-martial violate a criminal accused's Sixth Amendment right to present a defense (and related due process guarantees)?
Rulemakers have broad latitude to promulgate evidentiary rules that serve legitimate interests in the criminal process. Although the Constitution guarantees a meaningful opportunity to present a complete defense, evidentiary exclusions will be upheld so long as they are not arbitrary or disproportionate to the purposes they serve and do not infringe upon a weighty interest of the accused. See, e.g., Washington v. Texas; Chambers v. Mississippi; Rock v. Arkansas. A per se exclusion of a category of evidence is constitutionally permissible where reasonable doubts persist about its reliability, where admission threatens to undermine the jury's role in credibility determinations, and where admission would spawn collateral litigation that distracts from the merits.
No. The per se ban on polygraph evidence in courts-martial under M.R.E. 707 does not violate the Sixth Amendment or due process. The Supreme Court reversed the Court of Appeals for the Armed Forces and upheld the rule's constitutionality.
The Court began by reaffirming that while defendants have a constitutional right to present a complete defense, that right is subject to reasonable evidentiary restrictions designed to ensure fairness, reliability, and efficiency in trials. The relevant test asks whether the exclusion is arbitrary or disproportionate to its legitimate ends. Applying this framework, the Court concluded that three interrelated justifications made M.R.E. 707 a permissible categorical rule. First, the reliability of polygraph testing remains the subject of substantial doubt. The scientific community has not reached consensus on the accuracy of polygraphs across settings, examiners, and protocols. Because the probative value of polygraph results is uncertain and variable, rulemakers could reasonably judge that such evidence fails to meet minimal reliability standards for admission. Unlike the exclusions invalidated in cases like Chambers and Washington, the rule here rests on a reasoned, evidence-based skepticism rather than an arbitrary preference. Second, admitting polygraph results poses a significant risk of usurping the jury's (or factfinder's) core function of assessing witness credibility. A polygraph opinion—often presented in binary terms of deception or no deception—could unduly influence factfinders and displace their independent credibility judgments. Preserving the province of the jury is a powerful, legitimate state interest that can justify categorical limits on evidence that essentially invites jurors to defer to an expert's purported determination of truthfulness. Third, polygraph admission would likely trigger extensive collateral litigation about test conditions, examiner qualifications, question formulation, physiological artifacts, and error rates. Such mini-trials threaten to distract from the merits and impose burdens inconsistent with efficient, fair adjudication. A per se exclusion reasonably prevents time-consuming and confusing side disputes. The Court distinguished cases like Rock v. Arkansas, where a blanket ban on hypnotically refreshed testimony violated a defendant's right to testify. In Rock, the exclusion cut directly at the defendant's own testimony. By contrast, M.R.E. 707 does not bar Scheffer from testifying or presenting his defense; it excludes a particular form of corroborative evidence whose reliability is contested. Moreover, Rock involved a rule that swept more broadly and without the same degree of institutional and empirical support. Finally, although the military justice system is distinct, the Court emphasized that many civilian jurisdictions similarly exclude or disfavor polygraph evidence, confirming that M.R.E. 707 reflects mainstream evidentiary judgment rather than an outlier policy. For these reasons, the categorical bar is neither arbitrary nor disproportionate, and it does not unconstitutionally abridge Scheffer's right to present a defense.
Scheffer is a leading case on the constitutional limits of evidentiary exclusions. It teaches that the Sixth Amendment's right to present a defense yields to categorical rules when justified by legitimate concerns about reliability, juror confusion, and trial management. The decision also highlights judicial deference to rulemakers—Congress, the President (in military justice), and courts—in calibrating admissibility standards, especially for controversial scientific evidence. For law students, Scheffer provides a template for analyzing defense challenges to evidence rules: identify the constitutional right, articulate the government's interests, assess arbitrariness/disproportionality, and compare to precedents like Washington, Chambers, and Rock. Practically, Scheffer cements the inadmissibility of polygraph evidence in courts-martial and signals caution for civilian courts confronting novel or contested expert techniques. It underscores the centrality of the jury's role in credibility determinations and the judiciary's gatekeeping function in protecting that role.
United States v. Scheffer stands as a definitive statement that the constitutional right to present a defense does not compel admission of contested scientific evidence where rulemakers have reasonably judged that such evidence threatens reliability, the jury's province, and trial efficiency. The Court's analysis endorses categorical evidentiary rules when supported by concrete institutional and empirical considerations, and it clarifies the arbitrariness/disproportionality test applicable to such challenges.