Commonwealth v. Mercado
Commonwealth v. Mercado
Opinion of the Court
In 2015, the defendant filed a motion to withdraw a guilty plea he had entered in 1997 in the East Boston Division of the Boston Municipal Court. That motion was denied, and the defendant's appeal therefrom was considered by the Supreme Judicial Court (SJC) on direct appellate review. The SJC remanded, concluding that its adoption of the United States Supreme Court's decision in Padilla v. Kentucky,
Background. The defendant was arrested at Logan Airport in 1990 after consenting to a search of his jacket by an undercover police officer that yielded a paper bag containing 300 bags of heroin. He was released on personal recognizance and failed to appear before the court again until 1996. He pleaded guilty to a lesser charge of possession of a class A substance in 1997 and received a suspended sentence in the house of correction. His probation period was ultimately terminated in 2006.
The defendant, a legal permanent resident of the United States born in the Dominican Republic, filed his motion to withdraw his guilty plea in 2015 on the grounds that his trial counsel was ineffective in failing to properly advise him that he was likely to be deported as a result of his guilty plea. The judge denied the motion without making factual findings. The defendant's appeal was heard by the SJC, which determined that its decisions in Commonwealth v. Clarke,
On remand, the judge considered the substance of the earlier evidentiary hearing, at which the defendant and his plea counsel from 1997 each testified. The only issue raised in the motion to withdraw the guilty plea was whether plea counsel provided effective assistance of counsel under the Padilla standard.
The judge also heard testimony from the defendant, whose testimony included statements that he did not recognize his plea counsel and that he never discussed immigration consequences with her. His testimony was discredited, termed by the judge to be "misleading, evasive, untruthful and self-serving." In denying the defendant's motion, the judge emphasized that plea counsel had many conversations with the defendant about possible immigration consequences of his guilty plea and suggested that the defendant consult an immigration attorney. Under the Padilla standard, the judge determined that plea counsel's advice "comported with that of an ordinary fallible lawyer." The judge further noted that, even if plea counsel's representation was ineffective, the defendant did not prove any form of prejudice as laid out in Commonwealth v. DeJesus,
Discussion. "A motion to withdraw a guilty plea is treated as a motion for a new trial."
Ineffective assistance of counsel is found upon a showing that "there has been serious incompetency, inefficiency, or inattention of counsel-behavior of counsel falling measurably below that which might be expected from an ordinary fallible lawyer." Commonwealth v. Saferian,
In arguing that special circumstances existed, the defendant cites his own testimony that he had been in the United States since he was fourteen years old and that much of his family lived in the United States, as well as plea counsel's testimony that she sought dispositions that would avoid immigration consequences.
"Courts have found 'special circumstances' and provided relief when defendants demonstrate specific facts supporting their connection to the United States."Chleikh,
Here, the defendant failed to cite sufficient specific facts to support his contention that special circumstances existed such that a new trial would be warranted. Accordingly, we discern no error of law or abuse of discretion in the judge's denial of the defendant's motion to withdraw his guilty plea.
Order denying motion to withdraw guilty plea affirmed.
The retroactive dates relate to the passing of two different statutes. The Illegal Immigration Reform and Immigrant Responsibility Act of 1996 was effective April 1, 1997, the date to which the SJC first ruled that Padilla's retroactivity applied. Clarke,
The previous motion to withdraw the guilty plea had also argued that plea counsel was ineffective for failing to file a motion to suppress.
The three means of proving prejudice are as follows: (1) the defendant had a substantial ground of defense that he would have pursued; (2) the defendant can show a reasonable probability that a different plea bargain could have been obtained; or (3) there existed "special circumstances" that would have led to the defendant placing significant emphasis on immigration consequences. DeJesus, supra at 183.
We recognize that the judge discredited the defendant's testimony "in its entirety" and are mindful that "[w]e accept the judge's findings of fact if supported by the evidence, because the judge who heard the witnesses testify is the 'final arbiter on matters of credibility.' " DeJesus,
Case-law data current through December 31, 2025. Source: CourtListener bulk data.