United States v. Winbush

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The Fourth Circuit reversed the district court's dismissal of a petition for habeas corpus relief under 28 U.S.C. 2255. The court held that the district court erred in substituting a previously unidentified conviction to sustain petitioner's career offender designation. Petitioner claimed ineffective assistance of counsel based on counsel's failure to challenge his designation as a career offender. In this case, the district court found that one of the predicate offenses identified by the State did not qualify as a crime of violence and thus could not support a career offender designation, but nevertheless found no prejudice from counsel's error. The district concluded that the career offender designation could be supported by another conviction in petitioner's record, even though the State did not identify this conviction as a basis for the designation at sentencing. View "United States v. Winbush" on Justia Law