W.L. Kautzky and John F. Ault (collectively, the defendants) appeal the district court’s judgment holding the defendants liable for denying Duane C. White (White) meaningful access to the courts. White cross-appeals .the district court’s nominal damages award. Finding no actual injury, we reverse the finding of liability and vacate the district court’s judgment.
I. BACKGROUND
On June 25, 1999, White was arrested in Iowa for violating Iowa law and also on an outstanding South Dakota arrest warrant. White was detained in the Woodbury County Jail, near Sioux City, Iowa. White was later transferred from Iowa to South Dakota and back without formal extradition. White pled guilty in Iowa and South Dakota. The Iowa plea agreement allowed the State of Iowa to pursue additional charges if White filed an application for post-conviction relief. White was incarcerated in the Anamosa State Penitentiary (Anamosa) in Iowa from December 16, 1999, to July 25, 2002, when White was transferred to the South Dakota State Penitentiary where he presently is incarcerated.
*679 Before White arrived at Anamosa on December 16, 1999, Anamosa discontinued its prison library. In place of the prison library, Anamosa hired contract attorneys in 2000 who came to the prison several days each month, met with inmates individually for approximately fifteen minutes, answered simple legal questions, and dispensed legal forms. Although the policy in effect at Anamosa would not compensate contract attorneys for researching legal issues for the inmates, the contract attorneys performed limited legal research on an ad hoc basis.
During White’s incarceration at Anamo-sa, White approached a contract attorney about his improper extradition. White sought legal advice and research from the contract attorney. The contract attorney advised White to file an application for post-conviction relief. White never told the contract attorney the State of Iowa could pursue additional charges if White filed an application for post-conviction relief.
On March 28, 2002, White filed a grievance concerning the contract-attorney system in place at Anamosa. After exhausting the available administrative remedies, White filed a complaint pursuant to 42 U.S.C. § 1983, contending the absence of a prison library or an attorney to perform legal research violated his right of meaningful access to the courts. The parties submitted the case to the district court on the designated record. The district court concluded:
the legal assistance system at [Anamosa] stood as an unconstitutional impediment to White’s access to the courts, because it did not provide a reasonably adequate opportunity to present claimed violations of fundamental constitutional rights to the courts where the legal assistance system precluded even the minimum level of legal research that would be necessary, in some specific circumstances, to provide reasonably competent legal advice sufficient for an inmate to present his claims to the court.
White v. Kautzky,
II. DISCUSSION
We review for clear error the district court’s factual findings, and we review de novo the district court’s legal conclusions.
See Snider v. United States,
The Constitution guarantees prisoners a right to access the courts.
See Murray v. Giarratano,
To prove a violation of the right of meaningful access to the courts, a prisoner must establish the state has not provided an opportunity to litigate a claim challenging the prisoner’s sentence or conditions of confinement in a court of law, which resulted in actual injury, that is, the hindrance of a nonfrivolous and arguably meritorious underlying legal claim.
See Harbury,
To prove actual injury, White must “demonstrate that a nonfrivoulous legal claim had been frustrated or was being impeded.”
Casey,
First, regarding White’s claim for post-conviction relief, “the power of a court to try a person for crime is not impaired by the fact that he had been brought within the court’s jurisdiction by reason of a ‘forcible abduction.’ ”
Brown v. Nutsch,
We now turn to the second actual injury contention, the loss of a § 1983 claim. “[S]ection 1983 provides a remedy for improper extradition in violation of the extradition clause and statute.”
Brown,
Because of the applicable statutory law and controlling case precedent, White’s post-conviction relief and § 1983 claims are not arguably meritorious and are frivolous. We conclude White failed to prove he suffered an actual injury as a result of the contract-attorney system in place at Anamosa. Because we conclude White never suffered an actual injury, we need not address White’s cross-appeal challenging the district court’s damages award, and we do not reach the issue whether the contract-attorney system provided Wdiite with meaningful access to the courts.
III. CONCLUSION
We reverse and vacate the judgment of the district court. 3
Notes
. The district court found "White met with [a contract attorney] and asked him for advice on whether to file a post[-]conviction relief action challenging his conviction based on issues relating to extradition and jurisdiction.”
White,
. We need not decide whether White can seek relief pursuant to Iowa Code chapter 820 or whether the loss of a claim pursuant to Iowa Code chapter 820 is an actual injury because these issues are not before the court.
. By our decision today, finding no actual injury and thus no jurisdictional standing, we do not suggest or imply the district court’s reasoning and conclusions on whether the Anamosa contract-attorney system was an unconstitutional impediment to White’s access to the courts are valid.
