Glover v. Birkett

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Defendant was convicted of the assault of another inmate. He retained trial counsel to pursue his appeal of right, but the attorney failed to timely file. He filed delayed application for leave to appeal in the Michigan Court of Appeals, which was denied for lack of merit. The Michigan Supreme Court denied appeal. Defendant pursued state collateral proceedings and filed a motion for relief in the trial court, alleging ineffective assistance for failing to timely pursue appeal. The trial court denied the motion, and the higher courts denied subsequent applications for leave to appeal the denial. The district court conditionally granted a habeas petition, finding that counsel was ineffective for failing to timely pursue appeal of right. The Sixth Circuit affirmed. When counsel’s constitutionally deficient performance deprives a defendant of an appeal that he otherwise would have taken, prejudice is presumed with no further showing. Appellate review of the denial of collateral relief is not a sufficient substitute for direct appeal; an applicant denied leave to appeal does not receive the benefit of oral argument, nor does the defendant have a right to appointed counsel on post-conviction review. View "Glover v. Birkett" on Justia Law