Theodore Willbright appeals from a judgment entered on February 22, 1984, in the *780 United States District Court for the Southern District of New York, Robert W. Sweet, Judge. In Willbright’s petition, he claimed that his plea of guilty in stаte court was invalid due to the judge’s failure to inquire into the factual basis for the plea. We affirm.
Background
An indictment was filed in the New York Supreme Court, Westchester County, in December, 1974, chаrging Willbright with murder in the second degree, kidnapping in the second degree, and possession of a weapon in the fourth degree. Subsequent to the conviction of two of his co-defendants, and pursuant to a plea agreement, Willbright proffered a plea of guilty to the murder and kidnapping counts which pleas were accepted and enterеd.
Following a long procedural history through the state courts, in 1979 Willbright sought federal habeas corpus relief based on two claims, ineffective assistance of counsel and dеfective plea allocution. Both claims were denied by the district court. On apрeal, this court affirmed the denial of ineffective assistance of counsel,
Will-bright v. Smith,
Discussion
Appellant alleges that his guilty plea is constitutionally invalid because the state trial court judge failed to ask him to explain, in his own words, the factual basis for his pleа. It is settled law that a guilty plea accepted without an affirmative showing that it is intelligent and voluntary is a due process violation.
Boykin v. Alabama,
The voluntariness of a plea of guilty, however, should be determined by considering аll of the relevant circumstances.
Brady v. United States,
Unlike
United States ex rel. Dunn v. Casscles,
Given these circumstances evidencing that due process was accorded to appellant, and the absence of aggravating factors such as those in
Suggs
and
Dunn
which warranted factual basis inquiries, the state trial judge’s failure to question appellant about the factual basis for his plea did not constitute a due process violation. “Rather than mandating a specific catechism in determining voluntariness and intelligence, due process requires оnly that the courts provide safeguards sufficient to insure the defendant what is reasonably due in the circumstances.”
Siegel v. State of New York, supra,
