MEMORANDUM
The facts and procedural history of the case are known to the parties, and we do not repeat them here. Petitioner Renard Reece Young presents three issues, certified by this court, in his appeal of the
Young claims that the state habeas court unreasonably denied his claim that the joinder of the murder charge and the assault charges violated his constitutional due process rights. Even assuming that United States v. Lane provides the relevant Supreme Court precedent,
Thе state habeas court did not unreasonably deny Young’s claim that his trial counsel was constitutionаlly ineffective in failing to present evidence that Young acted in self defense in the assaults on the Blocker siblings. See Strickland v. Washington,
Young also claims his trial counsel was ineffective for failing to put on evidence that Young аcted in self-defense at trial. Young had little evidence to support this theory, primarily, Green’s testimony that Handy Blocker shot first at Young. In contrast, four witnesses testified that Blocker was unarmed as he left the party, and six testified that all party guests were searched for weapons before they were allowed to enter. Trial counsel could have
The state habeas court did not unreаsonably deny Young’s claim that his state appellate counsel was constitutionally ineffective for failing to present his unconstitutional joinder and ineffective assistance of trial cоunsel claims on direct appeal. As discussed, those claims lack merit. Failing to raise a meritless argument on appeal does not constitute ineffective assistance of cоunsel. See Wild-man v. Johnson,
Accordingly, the decision of the district court is AFFIRMED.
Notes
This disposition is not appropriate for publication and is not precedent except as provided by 9th Cir. R. 36-3.
. Lane considered only the effect of misjoinder under Federal Rule of Criminal Procedure 8, and expressly stated that no constitutiоnal claim had been presented. See Lane,
