OPINION
This court affirmed Michael Colley’s convictions for attempted murder and battery with intent to commit sexual assault in January 1982. Subsequently, Colley filed a petition for habeas corpus relief in the federal district court, which rejected his claim. After the Ninth Circuit Court of Appeals upheld the district court’s decision, the United States Supreme Court denied certiorari in October 1986.
After Colley filed a petition for post-conviction relief in September 1987, the district
Colley filed his petition for post-conviction relief over five years after this court affirmed his conviction. According to NRS 177.315(3), a person seeking post-conviction relief must file his petition within one year after the resolution of his appeal, unless there is good cause shown for a delay. In this appeal, Colley argues that he had good cause for failing to meet the one year filing deadline imposed by NRS 177.315(3). He contends that because he was pursuing his federal habeas corpus remedy between 1982 and 1986, he appropriately refrained from filing a petition for post-conviction relief in state court during that time. We disagree.
Generally, “good cause” means a “substantial reason; one that affords a legal excuse.” State v. Estencion,
At some point, we must give finality to criminal cases. Darnell v. State,
Thus, in the instant case, the necessity for the orderly administration of justice required the district court to deny Colley’s untimely petition for post-conviction relief.
See
Francis v. Henderson,
