United States v. RiggsUnited States v. Riggs
The government appeals the grant of Kevin Riggs’s motion for collateral relief under
I.
A.
In 1991, the police suspected Riggs and associates of drug trafficking and lured Riggs and John Jackson from their motel room based on the statements of Riggs’s associates that these two men possessed several grams of cocaine. Riggs got behind the wheel of their ear, and Jackson placed an object in the trunk. Riggs then slowly drove the car toward the motel lobby, with Jackson walking alongside. As the police approached the car, Riggs leaned toward the passenger-side floor as if to place something on or retrieve something from the floor.
The police arrested both men. A search of the car yielded seventy grams of cocaine from the trunk, a pistol from the underneath the passenger-side floor mat, and some pills scattered throughout the car.
Riggs was charged with, and convicted by a jury of, possession of cocaine with intent to distribute in violation of
In 1996, Riggs retained George Higgins III to file a motion for collateral relief under
Riggs eventually retained new counsel and filed a
The district court nevertheless granted the motion and vacated Riggs’s
The government argues that the district court should not have equitably tolled the statute of limitations because Riggs has alleged, at worst, attorney error or neglect, which is not grounds for equitable tolling. Although we review a decision to invoke equitable tolling for abuse of discretion,
Fierro v. Cockrell,
Equitable tolling is permitted only “in rare and exceptional circumstances.”
Davis v. Johnson,
This holding was long implied in our caselaw and should not be surprising. As we noted in
Cousin,
a prisoner has no right to counsel during post-conviction proceedings.
Id.
at 849 (citing
Coleman v. Thompson,
The record contains no evidence that Higgins intentionally deceived Riggs about the statute of limitations for
Riggs’s assertions, if proven, may warrant professional discipline against Higgins, but they do not warrant equitable tolling of the statute of limitations under our precedents. The district court abused its discretion by finding otherwise. The order granting the
Notes
. Riggs also was charged with, and convicted by a jury of, conspiracy to possess cocaine with intent to distribute in violation
. In
Bailey,
the Court held that the “use” offense of
. Riggs also asserts that he wrote repeatedly to Higgins, but Higgins denies receiving any letters from Riggs. Riggs also filed a complaint against Higgins with the state bar disciplinary office. The complaint and Higgins's response are in the record, and we have followed the lead of the parties in using them to describe Higgins's conduct and the dispute between Riggs and Higgins.
. Although the Supreme Court did not apply
Bailey
retroactively until
Bousley v. United States,
. The district court seemed concerned that the evidence suggested an equally plausible and innocent inference, namely, that Riggs reached toward the passenger-side floor to hide the pills, not to get the pistol (and thereby reveal his knowledge of its presence), and that Jackson was acquitted of the
.Fierro
involved a petition for a writ of habe-as corpus under
. A district court's error in unintentionally misleading a petitioner about the statute of limitations warrants equitable tolling,
United States v. Patterson,
. We do have some reason to accept Riggs's version. In his response to Riggs's complaint with the state bar disciplinary office, Higgins stated that he “believe[d] that the Bailey motion is still a viable motion to be filed on behalf of [Riggs].”
. Riggs also argues that he is actually innocent of the