United States v. Singh, No. 23-1474 (6th Cir. 2024)
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The case revolves around an appeal by Karnail Singh, who was charged with using a fraudulently procured passport and making false statements to immigration officials. Singh pleaded guilty to using a fraudulently procured passport in exchange for a lower sentencing range and the dismissal of the false-statement count. After his plea, the government initiated proceedings to revoke his citizenship. In response, Singh petitioned for a writ of coram nobis, requesting the district court to set aside his conviction, arguing he would not have pled guilty had he known his plea could affect his citizenship. The district court denied his petition, leading to this appeal.
The United States Court of Appeals for the Sixth Circuit affirmed the district court's decision. The court ruled that Singh's plea was knowing and satisfied due process, regardless of whether he understood it could impact his citizenship. They found that the district court complied with Rule 11 of the Federal Rules of Criminal Procedure, which requires the court to inform the defendant that a conviction may have immigration-related consequences.
Singh also claimed ineffective assistance of counsel, arguing his attorney incorrectly informed him that his plea would only affect his citizenship if he committed another crime. The court rejected this claim, citing lack of evidence that Singh would have chosen to go to trial if he had received different advice from his counsel.
Finally, the court rejected Singh's argument that the district court should have held a hearing before ruling on his coram nobis petition, stating that the record clearly showed Singh was not entitled to coram nobis relief.
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