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Bryant v. Maryland

United States Court of Appeals, Fourth Circuit
Jun 8, 1988
848 F.2d 492 (4th Cir. 1988)

Summary

holding that errors and irregularities in connection with state post-conviction proceedings are not cognizable on federal habeas review

Summary of this case from Wright v. Angelone

Opinion

No. 86-7695.

Argued March 11, 1988.

Decided June 8, 1988.

June M. Perrone (Nancy L. Cook, American University Washington College of Law, Appellate Advocacy Law Clinic, Washington, D.C., on brief), for plaintiff-appellant.

Jillyn K. Schulze, Asst. Atty. Gen. (J. Joseph Curran, Jr., Atty. Gen., Baltimore, Md., on brief), for defendant-appellee.

Appeal from the United States District Court for the District of Maryland.

Before WINTER, Chief Judge, and MURNAGHAN and WILKINSON, Circuit Judges.


Billie Austin Bryant has sought relief by way of a petition for a writ of habeas corpus. The district court dismissed the petition as frivolous under 28 U.S.C. § 1915(d).

Bryant's petition states four grounds for relief. One alleges an infirmity in his state court conviction for bank robbery. Another alleges an improper denial of a parole hearing. Two others allege infirmities in Bryant's state postconviction proceedings. As to the last two, the State of Maryland advances, in support of the district judge's decision, a rule that claims of error occurring in a state post-conviction proceeding cannot serve as a basis for federal habeas corpus relief. See Kirby v. Dutton, 794 F.2d 245, 247-48 (6th Cir. 1986); Vail v. Procunier, 747 F.2d 277 (5th Cir. 1984); Mitchell v. Wyrick, 727 F.2d 773, 744 (8th Cir. 1984), cert. denied, 469 U.S. 823, 105 S.Ct. 100, 83 L.Ed.2d 45 (1984); Williams v. Missouri, 640 F.2d 140, 143 (8th Cir. 1981), cert. denied, 451 U.S. 990, 101 S.Ct. 2328, 68 L.Ed.2d 849 (1981); Cornell v. Maryland, 396 F. Supp. 1092, 1094 n. 3 (D.Md. 1975); Stokley v. Maryland, 301 F. Supp. 653, 657 (D.Md. 1969).

It appears that Dickerson v. Walsh, 750 F.2d 150 (1st Cir. 1984), may hold to the contrary. Whether that case is actually distinguishable here need not detain us, for, even if it is not, we prefer to follow the Fifth, Sixth, and Eighth Circuits, as well as the United States District Court for the District of Maryland.

Bryant's penultimate claim is for a due process violation flowing from the amendment of his indictment immediately before trial. The district court properly dismissed that claim as frivolous. Bryant's last claim is that he was wrongly denied a parole hearing or a response to his letter to the Attorney General of Maryland requesting a parole hearing. The district court held that, since the Maryland parole statute does not create a legitimate expectation of parole release, Bryant had no right protected by the due process clause. That ruling is correct.

It also appears that Bryant is presently serving a sentence elsewhere, so that, at the very most, the attempt to raise the points here by post-conviction proceeding is premature.

AFFIRMED.


Summaries of

Bryant v. Maryland

United States Court of Appeals, Fourth Circuit
Jun 8, 1988
848 F.2d 492 (4th Cir. 1988)

holding that errors and irregularities in connection with state post-conviction proceedings are not cognizable on federal habeas review

Summary of this case from Wright v. Angelone

holding that claims of error occurring in state postconviction proceeding could not serve as the basis of federal habeas corpus relief

Summary of this case from Ragin v. Clarke

holding that errors and irregularities in connection with state post-conviction proceedings are not cognizable on federal habeas review

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holding that errors and irregularities in connection with state post-conviction proceedings are not cognizable on federal habeas review

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holding "claims of error occurring in a state post-conviction proceeding cannot serve as a basis for federal habeas corpus relief"

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holding that errors and irregularities in connection with state post-conviction proceedings are not cognizable on federal habeas review

Summary of this case from Hicks v. Director

holding claims of error in state PCR proceedings are not cognizable on federal habeas review

Summary of this case from Mason v. Warden

holding "claims of error occurring in a state post-conviction proceeding cannot serve as a basis for federal habeas corpus relief"

Summary of this case from Saunders v. Warden, Broad River Corr. Inst.

holding claims of error in state PCR proceedings are not cognizable on federal habeas review.

Summary of this case from Saunders v. Warden, Broad River Corr. Inst.

holding that errors and irregularities in connection with state PCR proceedings are not cognizable on federal habeas review

Summary of this case from Grant v. Warden

holding that errors and irregularities in connection with state post-conviction proceedings are not cognizable on federal habeas review

Summary of this case from Oaks v. Perry

holding "claims of error occurring in a state post-conviction proceeding cannot serve as a basis for federal habeas corpus relief"

Summary of this case from Stanfield v. Reynolds

holding that errors in connection with post-conviction proceedings are not cognizable on federal habeas review

Summary of this case from Moore v. Warden of Allendale Corr. Inst.

holding that errors and irregularities in connection with state post-conviction proceedings are not cognizable on federal habeas review

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holding that errors in connection with post-conviction proceedings are not cognizable on federal habeas review

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holding claims of error in state PCR proceedings are not cognizable on federal habeas review

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holding that errors and irregularities in connection with state PCR proceedings are not cognizable on federal habeas review

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holding that errors and irregularities in connection with state post-conviction proceedings are not cognizable on federal habeas review

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holding that errors and irregularities in connection with state post-conviction proceedings are not cognizable on federal habeas review

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holding that errors and irregularities in connection with state post-conviction proceedings are not cognizable on federal habeas review

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holding that claims of error in state PCR proceedings are not cognizable on federal habeas review

Summary of this case from Evans v. Cartledge

holding that errors and irregularities in connection with state post-conviction proceedings are not cognizable on federal habeas review

Summary of this case from Jones v. North Carolina

holding that errors and irregularities in connection with state PCR proceedings are not cognizable on federal habeas review

Summary of this case from Gray v. Stevenson

holding that errors and irregularities in connection with state post-conviction proceedings are not cognizable on federal habeas review

Summary of this case from Stidham v. Paysour

holding that errors and irregularities in connection with state post-conviction proceedings are not cognizable on federal habeas review

Summary of this case from Seymore v. Hall
Case details for

Bryant v. Maryland

Case Details

Full title:BILLIE AUSTIN BRYANT, PLAINTIFF-APPELLANT, v. STATE OF MARYLAND…

Court:United States Court of Appeals, Fourth Circuit

Date published: Jun 8, 1988

Citations

848 F.2d 492 (4th Cir. 1988)

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