Ninth Circuit: Gonzalo Dominguez v. William Barr


State drug statute criminalizing manufacture and delivery is divisible, as the two are different elements, not different means.

Under modified categorical review, the statute is a valid predicates, since the state's inclusion of "conversion" in the definition of drug manufacture overlaps the federal definition of "production."

Board's adjudication took sufficient consideration of the particulars of the case.

Issue of defective notice, promptly remedies, was not jurisdictional.