Typically, the federal courts have limited jurisdiction to review a final order of removal when the petitioner has been ordered removed based on criminal grounds.  The Ninth Circuit has held, in the context of a denied motion to continue, that the jurisdiction-stripping provisions do not apply to review of procedural motions that are independent of the merits of the removal order.

The full text of Garcia v. Lynch can be found here: http://cdn.ca9.uscourts.gov/datastore/opinions/2015/08/18/12-70778.pdf

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