Pеtitioner Garry Lee Moore filed a habeas corpus petition pursuant to 28 U.S.C. § 2254(b) challenging several prior convictions which were used to enhance a new sentence. The district court rejected Moore’s challenge as procedurally barred fоr *701 untimeliness, and alternatively as being without merit. We affirm.
I
In 1991, Moore was convicted of burglary in a Mississippi state court. At sentencing, the judge enhanced Moore’s sentence, finding that Moore’s prior convictions in 1983 for burglary and forgery rendered him a habitual offender under Mississippi law. Moore is currently serving this sentence.
After the sentencing hearing, Moore sought post-conviction relief in Mississippi state court, requesting the court to dismiss his 1983 convictions on the basis that his guilty pleas upon which the convictions were based were obtained in violation of his constitutional rights. 1 The state circuit court dismissed his petition on the sole basis that Moore’s challenge was untimely because he failed to bring his post-conviction challenge within the statutory time period “after entry of judgment of conviction.” 2 Moore appеaled this decision to the Mississippi Supreme Court, which denied his petition for a writ of mandamus that would have directed the district court to consider the merits of his claim.
After exhausting his state remedies, Moore filed this habeas petition in federal district court. The district court assigned the matter to a magistrate, who recommended that the court deny Moore’s claim because the state circuit court dismissed his petition on the “independent and adequate” ground that he failed to follow state procedural rules, thereby barring federal review, or, alternatively, because even if his petition was timely, his claims lack merit. The district court conducted a de novo review and adopted the magistrate’s recommendation. Moore filed a timely notice of appeal.
II
The Mississippi courts dismissed Moorе’s petition because he faded to file his petition within the time period required by the Mississippi Uniform Post-Conviction Collateral Relief Act (UPCCRA). 3 The UPCCRA, which became effective in 1984, provides:
A motion for relief under this chapter shall be made within three (3) years after the time in which the prisoner’s direct appeal is ruled uрon by the Supreme Court of Mississippi or, in case no appeal is taken, within three (3) years after the time for taking an appeal from the judgment of conviction or sentence has expired, or in case of a guilty plea, within three (3) years after entry of the judgment of conviction.
Miss.Code Ann. § 99-39-5(2).
4
With respect to defendants like Moore who were convicted before the effective date of the UPCCRA, the three year time limit runs from the effective date of the UPCCRA, thereby giving Moore until 1987 to raise his appeal.
5
Patterson v. State,
When a state court decision rests on a state law ground that is independent of a federal question and adequate to support the judgment, federal courts lack jurisdiction to review the merits of the case.
Coleman v. Thompson,
For the independent and adequate state ground doctrine to apply, thе state courts adjudicating a habeas petitioner’s claims must explicitly rely on a state procedural rule to dismiss the petitioner’s claims.
Sones,
In
Sones,
a panel оf the Fifth Circuit stated in dicta that “it is arguable” that a state procedural bar that prevents a defendant, such as Moore, from challenging prior convictions that occurred before 1984, but are subsequently used to sentence a defendant as a habitual offender, “may not be considered an independent and adequate state ground to bar federal relief.”
Sones,
In
Smith
and
Tredway,
the Seventh Circuit held that “ ‘the systemic concerns of both fairness and efficiency”’ require that “‘if a defendant does not have access to а fair procedure in a state court affording him a review, on the merits, of the constitutionality of a prior conviction after it has been incorporated into a new, enhanced sentence, a federal court may properly grant him such review.’ ”
Tredway,
The Seventh Circuit’s reasoning ignores the concerns of comity and federalism that underlie the adequate and independent state ground doctrine.
See Coleman,
The Coleman Court noted there are also comity concerns that arisе when the independent and adequate state law ground is a procedural default.
This Court has long held that a state prisoner’s federal habeas petition should be dismissed if the prisoner has not exhausted available state remedies as to any of his federal claims. This exhaustion require *703 ment is also grounded in principles of comity; in a federal system, the States should have the first opportunity to address and correct alleged violations of state prisoner’s federal rights_ “The exhaustion doctrine is principally designed to protеct the state courts’ role in the enforcement of federal law and prevent disruption of state judicial proceedings.” ... Just as in those eases in which a state prisoner fails to exhaust state remedies, a habeas petitioner who has failed to meet the State’s procedural requirements for presenting his federal claims has deprived the state courts of an opportunity to address those claims in the first instance. A habeas petitioner who has defaulted his federal claims in state court meets the technical requirements for exhaustion; there are no state remedies any longer “available” to him. In the absence of the independent and adequate state ground doctrine in federal habeas, habeas petitioners would be able to avoid the exhaustion requirеment by defaulting their federal claims in state court. The independent and adequate state ground doctrine ensures that the States’ interest in correcting their own mistakes is respected in all federal habeas cases.
Id.
at 731-32,
In addition to ignoring federalism and comity concerns, the Seventh Circuit’s conclusion that the
Coleman
decision does not “encompass all collateral challenges to prior convictions used to enhance subsequent sentences” creates finality problems and a preference for repeat offenders.
Tredway,
We conclude that the Supreme Court in Coleman intended the independent and adequate state ground doctrine to encompass “all federal habeas cases” including those in which a prisoner challenges a prior conviction that has subsequently been used to enhance a prisonеr’s sentence. 6 The Mississippi circuit court dismissed Moore’s suit under the UPCCRA as being untimely on its face; thus, it is clear that the state expressly relied on a procedural rule to dismiss Moore’s challenge, raising the presumption that the UPCCRA qualifies as an independent and adequate state ground to bar federal review of Moore’s claim. Moore contends that the UPCCRA is not an independent and adequate state ground because it is not strictly and regularly enforced. After reviewing the cases in which the Mississippi courts have applied the UPCCRA, we dо not find any evidence that the Mississippi courts have applied the UPCCRA in an inconsistent manner. 7
*704
Moore also attempts to overcome the bar to federal review of his claim by demonstrating cause for his procedural default and prejudice stemming from the alleged constitutional errors. Cause is defined as “something external to the petitioner, something that cannot fairly be attributed to him” that impedes his efforts to comply with the procedural rule.
Coleman,
Ill
For the foregoing reasons, we AFFIRM the decision of the district court.
Notes
. Specifically, Moore contends that the court failed to inform him of the possible minimum sentence that he could receive for these crimes and failed to state explicitly that Moore had the right to be free from self-incrimination.
. Miss.Code Ann. § 99-39-5(2) (Supp.1995).
. Miss.Code Ann. § 99-39-5(2) (Supp.1995).
. The statute also provides several exceptions for situations in which the Mississippi or United States Supreme Court renders a decision that would have adversely affected his conviction, the defendant discovers new evidence, not reasonably discoverable at trial, that would have resulted in a different оutcome, or the defendant claims his sentence is expired or his parole has been unlawfully revoked. Moore, however, does not claim that any of these exceptions apply.
.Under Mississippi law, a defendant cannot attack prior convictions used as a basis for an enhanced sentence during the sentencing hearing; rather, the defendant must bring a post-conviction petition for relief from the prior convictions.
Sones v. Hargett,
. We recognize that the Supreme Court has recently suggested that the issue of whether due process mandates that states “allow recidivism defendants to challenge prior guilty pleas” is unresolved.
Parke v. Raley,
.
See e.g., Fortson v. Hargett,
