Dingle v. Stevenson, No. 15-6832 (4th Cir. 2016)
Annotate this CasePetitioner was indicted for murder and other crimes committed while he was a minor over twenty years ago. Petitioner pled guilty in exchange for a life sentence with the opportunity for parole. Petitioner now challenges the validity of his guilty plea and appeals the district court’s denial of relief on his 28 U.S.C. 2254 petition. The court granted a certificate of appealability on the limited issue of whether Roper v. Simmons, which invalidated the death penalty for juvenile offenders, may be applied retroactively to invalidate petitioner's guilty plea. The court held that Roper does not provide an avenue for relief and concluded that the district court correctly found that Roper did not apply to situations where a defendant pled guilty to a non-capital sentence to avoid the possibility of a capital sentence. Furthermore, in light of Brady v. United States, the court found no infirmity in the plea that petitioner entered. Accordingly, the court affirmed the district court’s dismissal of his federal habeas petition.
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