United States v. LopezUnited States v. Lopez
The panel’s opinion filed December 5, 2000, published at
Arturo Lopez (“Lopez”) appeals from an order by the district court denying his
Factual & Procedural History
Lopez was cоnvicted by a jury for engaging in a, continuing criminal enterprise (“CCE”) on May 4,1994. Lopez’s conviction became final after this Court affirmed his conviction and sentence on direct appeal on November 21, 1995. On August 26, 1999, Lopez filed a motion to vacate, set aside, or correct his sentence pursuant to
Discussion
I. A “Newly Recognized” Right
Considering the first aspect of
Similarly, our sister circuits that have specifically addressed the definition of “right” in
II.
The Retroactivity of Richardson Under
The district court expressly held that Richardson was not retroactively applicable to cases on collateral review because there is no Supreme Court case that makes it retroactive. We find that the district court erred in this determination for several reasons.
The relevant portion of
We similarly agree with our sister circuits and hold that
Richardson
is generally retroactively applicable on collateral review.
See, e.g., Murr v. United States,
Our precedent moreover supports this view. For example, in
United States v. McPhail,
we described the decision by the Supreme Court in
Bailey
as “[explaining] what conduct is, and
always has been,
criminalized by the statute” and that it was “a substantive, non-constitutional decision concerning the reach of a federal statute.”
III.
The Initial Recognition of Richardson under
A third inquiry is whether Lopez’s motion is barred by the one-year limitations period under
We find that the better interpretation of when a right is initially recognized is one that commences the limitations period on the date the Supreme Court acknowledges the right. The portion of
This interpretation is also more pеrsuasive, given the possibility of a situation in which the Court never states that the right is retroactively applicable on collateral review because either the circuits are in agreement or because it declines to grant cеrtiorari. If the right were to stem from the Court’s interpretation of a federal statute, it would then be retroactively applicable on collateral review.
6
However, under the second interpretation, the limitations period would never be triggered, and any petitioner’s out-of-time motion would be timely, a likely unintended consequence by Congress. Thus, because Lopez filed his
IY. Procedural Default
Lopez procedurally defaulted his claim by failing to raise it on direct review. As such, the claim may be raised in habeas proceedings only if he is able to demonstrate cause and prejudice.
See United States v. Cervantes,
Conclusion
Because we find that Lopez’s claim is procedurally barred, we AFFIRM the district court’s order denying Lopez’s
AFFIRMED.
Notes
. Lopez's
.
A "seriеs of violations” generally constitutes three or more violations of the federal narcotics laws.
United States v. Brown,
.
Bailey
interpreted the "use” of a firearm in
. The district court relied on
In re Smith
to hold that
Richardson
is not retroactive on collateral review.
.
Bousley v. United States,
. See supra Part II of the discussion.