James David Morrow, a Nevada state prisoner, appeals from the district court’s denial of his 28 U.S.C. § 2254 habeas corpus petition. We review de novo, see Davis v. Grigas,
For habeas relief Morrow must show that the state court decision on his claims was contrary to, or involved an unreasonable application of, clearly established Supreme Court law, or was based on an unreasonable determination of the facts in light of the evidence. See id,.; 28 U.S.C. § 2254(d).
Morrow alleges an improper reference to his post-arrest silence by the prosecutor in closing argument. The prosecutor’s statements, however, permissibly referred to Morrow’s testimony at trial. See Portuondo v. Agard,
Morrow argues that due process was violated when the prosecutor returned to the grand jury for a superseding indictment, because once the trial court dismissed the original indictment it lost jurisdiction over the charges. The return to the grand jury was at Morrow’s request, to present additional evidence supporting his self-defense claim. There is no authority holding that a state court loses jurisdiction over the charges in the indictment when the prosecutor returns to the same grand jury to obtain a superseding indictment. We therefore reject this claim.
Morrow contends that errors by his trial and appellate counsel amount to ineffective assistance. Morrow must show that the errors fall outside the wide range of competent legal assistance, and demonstrate that it is reasonably probable that the result of his trial would have been different if his counsel had not made these mistakes. See Strickland v. Washington,
We address each claim of error in turn, beginning with his counsel’s performance during closing arguments. First, Morrow’s counsel did not err in failing to object to statements by the prosecutor in closing argument that Morrow claims were improper vouching. The statements neither gave personal assurances of any witness’s veracity, nor suggested that the prosecutor had information outside of the evidence at trial that supported the witness’s credibility. See United States v. Weatherspoon,
Morrow also claims his counsel was ineffective in his case management. Mor
Morrow claims a conflict of interest because his trial counsel was also his appellate counsel and therefore would not raise his own ineffectiveness on direct appeal. But Morrow’s claim of ineffectiveness belonged in his state habeas petition, not his direct appeal, and at any rate he has not shown that a claim of ineffective assistance would have succeeded. Morrow’s counsel on appeal was not ineffective for his failure to raise constitutional challenges to state court decisions on witness impeachment, the introduction of autopsy reports, and a doctor’s testimony, as Morrow does not identify what those constitutional challenges might be. Finally, it was not ineffective assistance for Morrow’s counsel to fail to characterize certain issues as plain error, or to raise on appeal the resubmission to the grand jury, as none of those issues had merit. Morrow has not shown that his counsel was ineffective.
Morrow next argues that the cumulative effect of the errors denied him due process of law, but because he has demonstrated no constitutional errors there is no prejudice to accumulate. See Parle v. Runnels,
AFFIRMED.
Notes
This disposition is not appropriate for publication and may not be cited to or by the courts of this circuit except as provided by 9th Cir. R. 36-3.
