US v. Omar Alas, No. 22-4193 (4th Cir. 2023)
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Defendant entered the United Stated without authorization in 2004. He was then convicted of malicious wounding in Virginia and was deported back to El Salvador. Defendant later re-entered the United States before being convicted of another crime in 2020. He was indicted for illegal entry. moved to dismiss that indictment, arguing that the five year statute of limitations on his prosecution had run and that his crime of malicious wounding was not a deportable offense. The district court rejected Defendant's claims.
On appeal, Fourth Circuit affirmed the district court's denial of Defendant's collateral attack of his removal order, finding that Defendant entered the United States without authorization, committed a deportable offense, re-entered again illegally, and then committed another crime. The court explained that Defendant's "case falls right at the heart of what Congress sought to criminalize and the executive branch seeks to stop with the illegal reentry statute of 8 U.S.C. Sec. 1326."
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