A Missouri jury convicted Neil Schleeper of assault and armed criminal action, and Schleeper appealed to the Missouri Court of Appeals. Schleeper also filed a Missouri Rule of Criminal Procedure 29.15 motion for postconviction relief alleging trial errors and ineffective assistance of counsel. The Missouri Court of Appeals suspended Schleeper’s direct appeal pending the outcome of his Rule 29.15 motion. Schleeper escaped from custody, but was recaptured two days later. Although the State moved to dismiss Schleeper’s Rule 29.15 motion, the motion court held a hearing and denied the motion on the merits.
After Schleeper appealed the Rule 29.15 denial, the Missouri Court of Appeals consolidated Schleeper’s Rule 29.15 appeal with his direct appeal and dismissed both appeals under Missouri’s fugitive dismissal rule, holding Sehleeper’s attempt to escape justice forfeited his right to appeal his conviction and the denial of his Rule 29.15 motion.
State v. Schleeper,
*737
“[B]efore [Schleeper] can bring a federal habeas action, he must have presented the same legal theories and factual bases to the [Missouri] courts.”
Battle v. Delo,
In § 2254 proceedings, federal courts are limited to deciding whether a state conviction violated the federal Constitution or laws.
Estelle v. McGuire,
Schleeper argued in the district court that failure to review his claims would be a fundamental miscarriage of justice, but Schleeper has not made this argument on appeal. In any event, because Schleeper has not asserted actual innocence, his fundamental miscarriage argument must fail. See id. at 1552.
Unlike the petitioner in our recent decision
Branch v. Turner,
Accordingly, we affirm the district court’s denial of Schleeper’s habeas petition.
