Brown v. McDaniel

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Appellant, an inmate, filed a timely post-conviction petition for writ of habeas corpus, which the district court denied on the merits. Appellant later filed a second post-conviction petition for a writ of habeas corpus, alleging ineffective assistance of counsel. Appellant’s petition was untimely and successive, but Appellant argued he had good cause to excuse the procedural bars because his first post-conviction counsel had provided ineffective assistance by failing to present these claims in his first post-conviction petition. At issue in this case was whether, in light of the United States Supreme Court’s decision in Martinez v. Ryan, the ineffective assistance of post-conviction counsel may constitute good cause under Nev. Rev. Stat. 34.726(1) and Nev. Rev. Stat. 34.810 to allow a noncapital petitioner to file an untimely and successive post-conviction petition for a writ of habeas corpus. The district court dismissed Appellant’s petition. The Supreme Court affirmed, holding that Martinez does not alter the Court’s prior decisions that a petitioner has no constitutional right to post-conviction counsel and that post-conviction counsel’s performance does not constitute good cause to excuse the statutory procedural bars unless the appointment of that counsel was mandated by statute. View "Brown v. McDaniel" on Justia Law