The Fourth Circuit has determined that a petitioner who signed a deferred prosecution agreement and who agreed in court that he was stipulating to the facts in the agreement had sustained a conviction for immigration purposes.  In addition, the court determined that the term "crime involving moral turpitude" is not void for vagueness.  

The full text of Boggala v. Sessions can be found here:

http://www.ca4.uscourts.gov/Opinions/Published/161558.P.pdf

Comment