Craw v. Miller
Craw
Citation
341 Or. App. 170
Court
Court of Appeals of Oregon
Decided
June 4, 2025
Jurisdiction
SA
Importance
45%
Practice Areas
Case Summary
170 June 4, 2025 No. 516 This is a nonprecedential memorandum opinion pursuant to ORAP 10.30 and may not be cited except as provided in ORAP 10.30(1). IN THE COURT OF APPEALS OF THE STATE OF OREGON MICHAEL THOMAS CRAW, Petitioner-Appellant, v. Jamie MILLER, Superintendent, Snake River Correctional Institution, Defendant-Respondent. Malheur County Circuit Court 20CV11843; A182186 J. Burdette Pratt, Senior Judge. Submitted March 18, 2025. Corbin Brooks and Equal Justice Law filed the brief for appellant. Ellen F. Rosenblum, Attorney General, Benjamin Gutman, Solicitor General, and Peenesh Shah, Assistant Attorney General, filed the brief for respondent. Michael T. Craw filed the supplemental brief pro se. Before Ortega, Presiding Judge, Lagesen, Chief Judge, and Hellman, Judge. HELLMAN, J. Affirmed. Nonprecedential Memo Op: 341 Or App 170 (2025) 171 HELLMAN, J. Petitioner appeals from a judgment that denied his petition for post-conviction relief on five claims related to constitutionally ineffective and inadequate assistance of counsel in the underlying criminal case in which he pleaded no contest to 10 counts of first-degree encouraging child sexual abuse, ORS 163.684, and 10 counts of second- degree encouraging child sexual abuse, ORS 163.686. On appeal, he raises two assignments of error through coun- sel and three assignments of error pro se. In his counseled assignments, he claims that the post-conviction court erred in ruling that trial counsel was not ineffective for failing to advise petitioner that he could file a successful motion to suppress images obtained from his computer and for failing to advise petitioner that he had a right to a unanimous jury verdict. In his three supplemental pro se assignments of error, petitioner claims that the post-conviction court erred in ruling that trial counsel was not ineffective for failing to file a motion to suppress on the grounds that the warrant lacked probable cause or on the grounds that, among other things, it did not comply with the statutory requirements under ORS 133.615, and for failing to file a motion to dis- miss on the grounds that his arrest was unlawful. We reject petitioner’s counseled assignments and first supplemental assignment because we conclude that petitioner did not establish his claims for relief. We reject petitioner’s second and third supplemental assignments as unpreserved. We therefore affirm. We review the post-conviction court’s decision for legal error. Green v. Franke, 357 Or 301, 312, 350 P3d 188 (2015). “A post-conviction court’s findings of historical fact are binding on this court if there is evidence in the record to support them.” Id. A petitioner claiming inadequate assis- tance of counsel under Article I, section 11, of the Oregon Constitution has the burden “to show, by a preponderance of the evidence, facts demonstrating that trial counsel failed to exercise reasonable professional skill and judgment and that petitioner suffered prejudice as a result.” Trujillo v. Maass, 312 Or 431, 435, 822 P2d 703 (1991) (“Only those acts or omissions by counsel which have a tendency to affect the 172 Craw v. Miller result of the prosecution can be regarded as of constitutional magnitude.” (Internal quotation marks and brackets omit- ted.)). Under the federal standard, a petitioner is required to “show that counsel’s representation fell below an objective standard of reasonableness” and that, as a result, petitioner was prejudiced. Strickland v. Washington, 466 US 668, 688, 104 S Ct 2052, 80 L Ed 2d 674 (1984). As the Oregon Supreme Court has recognized, those standards are “func- tionally equivalent.” Montez v. Czerniak, 355 Or 1, 6-7, 322 P3d 487, adh’d to as modified on recons, 355 Or 598, 330 P3d 595 (2014). Under both the state and federal constitutions, “[t]o prove prejudice after pleading guilty, a petitioner must show a ‘reasonable probability’ that they would have pro- ceeded to trial if their lawyer had advised them correctly.” Blain v. Cain, 327 Or App 584, 588, 536 P3d 623 (2023), rev den, 372 Or 22 (2024). Motion to Suppress Evidence. In his first assignment of error, petitioner argues that the post-conviction court erred when it ruled that “trial counsel was not ineffective for failing to advise petitioner that he could file a success- ful motion to suppress images obtained from his computer.” In his first supplemental pro se assignment of error, peti- tioner also assigns error to the trial counsel’s failure to file a motion to suppress on the grounds that the warrant lacked probable cause. Because these assignments of error overlap, we address and resolve them together.
Case Details
Case Details
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Status
Decided
Date Decided
June 4, 2025
Jurisdiction
SA
Court Type
federal
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Case Summary
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Case Overview
Craw v. Miller is a significant case decided by the Court of Appeals of Oregon on June 4, 2025. The case revolves around Michael Thomas Craw, who appealed a judgment denying his petition for post-conviction relief. The appeal was based on claims of ineffective assistance of counsel related to his prior plea of no contest to multiple counts of encouraging child sexual abuse.
Key Legal Issues
The primary legal issues in this case include:
- Ineffective Assistance of Counsel: Whether trial counsel failed to provide adequate legal advice regarding the suppression of evidence and the right to a unanimous jury verdict.
- Post-Conviction Relief: The standards for proving ineffective assistance of counsel under both the Oregon Constitution and the U.S. Constitution.
Court's Decision
The Court of Appeals affirmed the post-conviction court's ruling, concluding that Craw did not meet the burden of proof required to establish ineffective assistance of counsel. The court found that:
- Petitioner failed to demonstrate that his counsel's actions prejudiced the outcome of his case.
- Claims regarding the suppression of evidence and the validity of his no-contest plea were unsubstantiated.
Legal Reasoning
The court's reasoning was grounded in established legal principles regarding ineffective assistance of counsel. Key points include:
- The burden is on the petitioner to show that counsel's performance was deficient and that this deficiency prejudiced the defense.
- The court referenced Strickland v. Washington, which outlines the standard for evaluating claims of ineffective assistance of counsel, requiring a demonstration of both deficiency and resulting prejudice.
- The court also noted that the obligation of counsel does not extend to predicting future changes in law, as established in Smith v. Kelly.
Key Holdings
- The post-conviction court did not err in ruling that trial counsel was effective in advising Craw regarding his plea.
- Claims regarding the failure to file suppression motions were found to be unsubstantiated and unpreserved for appeal.
- The court upheld that the no-contest plea was valid, as it was made based on the law as understood at the time.
Precedents and Citations
- Strickland v. Washington, 466 U.S. 668 (1984)
- Smith v. Kelly, 318 Or App 567 (2022)
- State v. Mansor, 363 Or 185 (2018)
- Green v. Franke, 357 Or 301 (2015)
Practical Implications
This case underscores the challenges faced by petitioners in post-conviction relief cases, particularly in proving ineffective assistance of counsel. Legal practitioners should note the following:
- The importance of preserving claims for appeal and the necessity of demonstrating both deficiency and prejudice in ineffective assistance claims.
- The implications of evolving legal standards and how they affect the validity of prior pleas.
- The need for clear and credible evidence when challenging the effectiveness of legal counsel.
Overall, Craw v. Miller serves as a crucial reference point for understanding the complexities involved in post-conviction relief and the standards for effective legal representation.
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Case Details
Legal case information
Status
Decided
Date Decided
June 4, 2025
Jurisdiction
SA
Court Type
federal
Legal Significance
Case importance metrics
Metadata
Additional information
Quick Actions
Case management tools