Hrobowski v. United States

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Hrobowski was convicted of federal firearms offenses in 2006 and sentenced to 264 months’ imprisonment under the Armed Career Criminal Act, 18 U.S.C. 924(e) based on prior Illinois state‐law convictions: aggravated battery, second‐degree murder, aggravated discharge of a firearm, and aggravated fleeing from a police officer. Hrobowski first unsuccessfully moved to vacate his sentence under 28 U.S.C. 2255, alleging ineffective assistance of counsel; he then unsuccessfully sought authorization to file a successive petition alleging a "Brady" violation. He then filed an unsuccessful petition under Descamps and Alleyne. Hrobowski then sought authorization to file a successive section 2255 petition following the U.S. Supreme Court’s Johnson decision, invalidating ACCA’s residual clause. Petitions based on Johnson errors generally satisfy the requirement for filing a successive section 2255 petition: the Johnson decision was a new rule of constitutional law, and the Supreme Court made the rule retroactive. Hrobowski claimed that he was discharged from the second‐degree murder conviction in 1998 and from the aggravated discharge of a firearm conviction in 2002 and that his civil rights were fully restored. The Seventh Circuit affirmed denial of the petition. One prior conviction was based on the residual clause but the Johnson violation was harmless as Hrobowski had three other prior violent felonies. His claim that two of his other convictions should not be considered prior violent felonies because his rights were restored is procedurally barred. View "Hrobowski v. United States" on Justia Law