Medicine Blanket v. Brill, No. 10-1346 (10th Cir. 2011)
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Petitioner Charles Medicine Blanket unsuccessfully appealed his conviction on sexual assault charges. He sought the writ of habeas corpus from the Tenth Circuit to challenge the district court’s denial of his appeal. Though he committed his crimes in Colorado, Petitioner was arrested on the Rosebud Sioux Reservation in South Dakota, and was extradited back to Colorado to stand trial. On appeal to the Tenth Circuit, Petitioner argued that his Fourteenth Amendment rights were violated when he was arrested with an "invalid" federal warrant, and then removed from the reservation without an extradition hearing. Furthermore, Petitioner alleged that his trial attorney provided ineffective assistance of counsel by failing to challenge his arrest warrant and extradition. The district court concluded that Petitioner failed to exhaust "certain due process claims" in his state post-conviction proceedings before bringing his appeal to the district court. Specifically, Petitioner failed to pursue his due process claims through "one complete round of the state’s appellate process." Upon careful consideration of the record and the applicable legal authority, the Tenth Circuit concluded that Petitioner did not exhaust his due process claims in the lower courts, and as such, the lower courts were correct in denying him the relief he sought.
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