The Ninth Circuit has reaffirmed the presumed validity of a Form I-213, even when it is used to determine that an individual was convicted of a particularly serious crime. In so doing, the court distinguished its decision in Alcaraz-Enriquez by noting that the petitioner did not challenge the accuracy of the Form I-213.
The full text of Hernandez v. Garland can be found here:
https://cdn.ca9.uscourts.gov/datastore/opinions/2022/10/31/20-72138.pdf