The Ninth Circuit has determined that Oregon’s first-degree residential burglary statute is a categorical match to the definition of a burglary aggravated felony. In so doing, the court rejected the argument that the statute includes entering the curtilage of the building, or that statute’s occupancy requirement is too intermitent.
The full text of Mendoza Garcia v. Garland can be found here:
https://cdn.ca9.uscourts.gov/datastore/opinions/2022/06/10/20-73583.pdf