State v. Parra

In State v. Parra, 251 Conn. 617, 741 A.2d 902 (1999), the Supreme Court held that the three year statute of limitations applied not only to defendants who pleaded guilty after the effective date of the amendment, but also retroactively to all defendants who claimed that they were not canvassed on the deportation consequences of their plea in accordance with 54-1j. See id. at 620.