The Ninth Circuit has determined that an Oregon conviction for first degree criminal mistreatment is a crime involving moral turpitude because it requires knowingly depriving a dependent of basic care.
The Court also found that an Oregon conviction for unlawful possession of a weapon is overbroad as compared to a deportable firearms offense because the statute criminalizes possession of antique firearms. However, the statute is divisible between various subsections, some of which do not involve antique firearms. These subsections match the definition of a deportabel firearms offense.
The Court also overruled its prior precedent that a grant of SIJS constitutes an admission for cancellation of removal purposes.
The full text of Murillo-Chavez v. Bondi can be found here:
https://cdn.ca9.uscourts.gov/datastore/opinions/2025/02/13/21-1422.pdf