In United States law, the Frye standard , Frye test, or general acceptance test is a judicial test used in some U.S. state courts to determine the admissibility of scientific evidence. It provides that expert opinion based on a scientific technique is admissible only when the technique is generally accepted as reliable in the relevant scientific community. In Daubert v. Merrell Dow Pharmaceuticals, 509 U.S. 579 (1993), the U.S. Supreme Court held that the Federal Rules of Evidence superseded Frye as the standard for admissibility of expert evidence in federal courts.Arvin Maskin, Konrad Cailteux, "The Supreme Court Establishes Standard of Review for Daubert Decisions and Reaffirms District Court," March 1998, http://www.weil.com/news/pubdetail.aspx?pub=3467 LINK OUTDATED 10/7/15 Some states, however, still adhere to the Frye standard.
In many but not all jurisdictions, the Frye standard has been superseded by the Daubert standard. States still following Frye include: California, Illinois, Minnesota, New York, Pennsylvania, and Washington. New Jersey follows a model that closely resembles Daubert for civil, criminal and quasi-criminal. Rochkind v. Stevenson, 471 Md. 1, 236 A.3d 630 (Md. 2020).
In practical application of this standard, those who were proponents of a widely disputed scientific issue had to provide a number of experts to speak to the validity of the science behind the issue in question.
Novel techniques, placed under the scrutiny of this standard, forced courts to examine papers, books and judicial precedents on the subject at hand to make determinations as to the reliability and "general acceptance."
As an alternative to this standard, the courts have generally adopted Rule 702 of the Federal Rules of Evidence, as the primary for expert testimony and scientific evidence.
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