United States v. Jose Jesus Camacho-LopezUnited States v. Jose Jesus Camacho-Lopez
Jose Jesus Camacho-Lopez (“Camacho”) appeals his conviction for illegal reentry following deportation, arguing that a defect in his earlier deportation proceeding&emdash;the Immigration Judge’s (“IJ”) advice that Camacho was ineligible for discretionary relief because of his vehicular manslaughter conviction&emdash;invalidates his deportation order and appeal waiver, thereby rendering an essential element of his conviction missing. We agree.
FACTS AND PROCEDURAL HISTORY
Camacho was admitted to the United States as a lawful permanent resident in 1978. He was later convicted on two counts of vehicular manslaughter with gross negligence, in violation of California Penal Code section 191.5(a). After his release from prison, Camacho was served with a Notice to Appear, alleging that Camacho was subject to removal because his conviction qualified as an aggravated felony.
At his deportation hearing, the IJ noted that Camacho had been convicted of vehicular manslaughter and therefore found “that the respondent is not eligible for withholding of removal even if he wished to file the said application, particularly (unintelligible) this court will pre-permit [sic] the respondent’s application for withholding should he (unintelligible) to file it.” The IJ then asked Camacho if he wanted to waive his right to appeal. Camacho responded that he “[dijdn’t have any other choice,” and accepted the order as final. The IJ then ordered Camacho’s removal to Mexico, which was executed on November 24,1998.
Six years later, Camacho was found in the United States and indicted for illegal reentry following deportation in violation of
STANDARD OF REVIEW
“We review a denial of a motion to dismiss an
“Because the underlying removal order serves as a predicate element of [a
Here, the government concedes that
Leocal
— a substantive interpretation of “crime of violence” under
Still, to succeed in his attack, Camacho must demonstrate that he was prejudiced and that, therefore, the removal order was fundamentally unfair.
See
REVERSED and REMANDED.
Notes
. In this respect, Camacho's case differs from
Pallares-Galan.
Pallares-Galan had additional convictions alleged in the original Notice to Appear, which also could have supported his removability and led us to remand to the district court to consider the issue of prejudice.