9th Cir.

Clayton v. Angol

May 6, 2026 ·24-3015 ·Unpublished · By James Taylor

The Ninth Circuit vacated a district court's dismissal of a habeas petition because the lower court failed to provide the petitioner notice and an opportunity to respond. The appellate court remanded the case to ensure compliance with the procedural requirements established in Boyd v. Thompson.

Listen to this decision 0:00 / --:--

Background

Petitioner Terry Anthony Clayton appealed the district court’s sua sponte dismissal of his pro se habeas petition as procedurally defaulted. The district court dismissed the petition without first providing notice and an opportunity to respond.

The court’s reasoning

The Ninth Circuit reviewed the dismissal de novo and found that the district court’s procedure contravened Ninth Circuit precedent. The court cited Boyd v. Thompson, which requires a habeas court to give a petitioner notice of the procedural default and an opportunity to respond to the argument for dismissal. The respondent conceded that the summary dismissal without notice was inconsistent with Boyd and warranted remand.

A habeas court must give a petitioner notice of the procedural default and an opportunity to respond to the argument for dismissal.

Boyd v. Thompson, 147 F.3d 1124, 1128 (9th Cir. 1998)

What it means going forward

The case is sent back to the district court to provide the petitioner with notice and an opportunity to respond before any further dismissal on procedural default grounds.

Play