United States v. Cisneros-Rodriguez, No. 13-10645 (9th Cir. 2015)
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Defendant, an undocumented alien, was convicted in 2009 of violating California narcotics laws and was subsequently placed in administrative removal proceedings. Defendant was subsequently ordered removed in 2010 and was criminally charged with illegal reentry in 2011. The district court denied defendant's motion to dismiss the indictment and defendant was convicted of illegal reentry. The court held that the ICE agent who conducted defendant’s
administrative removal proceeding violated her due process rights by telling her that an attorney would not have been able to help her when she was facially eligible for a U-visa, a form of hardship relief available to a person convicted of an aggravated felony. The court also held that defendant was prejudiced by the due process violation because it was plausible that defendant would have obtained a U-visa had she applied for one in 2010, notwithstanding the fact that she had already been placed in administrative removal proceedings. Accordingly, the court reversed and remanded with instructions to dismiss the indictment and vacated the conviction.
Court Description: Criminal Law. Reversing a criminal judgment, the panel remanded with instructions to dismiss an indictment and vacate the defendant’s conviction for illegal reentry. The panel held that if an Immigration and Customs Enforcement agent erroneously advises an uncounseled alien in an administrative removal proceeding that an attorney will not be able to provide assistance, any waiver of the right to counsel based on that advice is invalid. The panel held that an ICE agent therefore obtained an invalid waiver of the defendant’s right to counsel, in violation of due process, when he advised the defendant that an attorney would not have been able to help her when she was facially eligible for a U-visa, a form of hardship relief available to a person convicted of an aggravated felony. The panel further held that the defendant was prejudiced by the due process violation because it was plausible that she would have obtained a U-visa had she applied for one, notwithstanding the fact that she had already been placed in administrative removal proceedings. Dissenting, District Judge Silver wrote that the district court made credibility findings, and that deference to the district court’s determination that the defendant was not credible is required; that the law governing administrative UNITED STATES V. CISNEROS-RODRIGUEZ 3 removal proceedings would have prevented the defendant from staying, vacating, or converting the proceedings; and that the defendant has not carried the burden to establish she plausibly would have been granted a U-visa.
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