Murray v. Idaho
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Jeffrey Murray appealed the district court's order dismissing his petition for post-conviction relief after he pled guilty to felony domestic violence and was sentenced to three years fixed followed by seven years indeterminate. Murray's petition for post-conviction relief argued, among other things, that he received ineffective assistance of trial counsel. Upon review, the Supreme Court affirmed the district court's dismissal of Murray's petition for post-conviction relief: "although Murray has provided argument that his counsel was deficient in failing to inform him of his ability to obtain a confidential domestic violence evaluation prior to pleading guilty, he has not provided a single authority or legal proposition to support his argument. Murray merely states, without support, that his counsel’s failure to advise him of his ability to undergo a confidential evaluation 'represented deficient performance.'"
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