Woodfolk v. Maynard

by
Petitioner challenged the district court's denial of his 28 U.S.C. 2254 petition, alleging that his guilty plea to attempted murder and a related firearm offense resulted from his trial counsel's disabling conflict of interest. Determining that the appeal was not moot, the Fourth Circuit held that the petition was timely. In this case, petitioner's limitations period commenced on December 12, 2008, when the judgment entered upon his November 2008 resentencing became final. Because his postconviction proceedings statutorily tolled the limitations period from at least January 20, 2009 through October 21, 2013, his petition was timely. Furthermore, under the exceptional circumstances presented by petitioner's case, neither procedural bar at issue was adequate to preclude federal review of petitioner's ineffective assistance of counsel claim; the Court of Special Appeals' application of Md. Code Ann., Crim. Proc. 7-106(b)(1)(i)(6) was inadequate to bar federal review of petitioner's claim; and the circuit court's reliance on section 7-106(b)(1)(i)(4) was inadequate to bar consideration of his ineffective assistance claim on federal habeas review. The court vacated the district court's judgment and remanded for further proceedings. View "Woodfolk v. Maynard" on Justia Law