Olvera v. Gomez, No. 18-3435 (7th Cir. 2021)
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Olvera’s conviction stems from the 2000, death of Stropes during a gang-related drive-by shooting in East Moline. Olvera’s codefendant, Delgado, fired the shot. Olvera was the driver of the vehicle and did not fire any shots that evening. Delgado pleaded guilty to murder. At Olvera’s trial, his girlfriend and others testified that the shooting arose out of an incident at a party. Olvera unsuccessfully sought state court post-conviction review, claiming that his trial counsel had failed to “contact or call” several witnesses “whose testimony would have been of significant benefit to him.”
The Seventh Circuit affirmed the denial of Olvera’s petition for federal habeas relief. The state court’s articulation of the Strickland standard was not contrary to the Supreme Court’s clearly established law. The state court did not unreasonably apply Strickland when it concluded that affidavits submitted by the potential witnesses identified by Olvera failed to demonstrate prejudice or failed to demonstrate deficient performance. The court noted the overwhelming evidence supporting the state’s accountability theory and precluding Olvera’s claim of self-defense that was “left untouched.”
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