Justia Immigration Law Opinion Summaries
Articles Posted in US Court of Appeals for the Fifth Circuit
Gjetani v. Barr
The Fifth Circuit denied in part and dismissed in part a petition for review of the BIA's decision affirming the IJ's denial of petitioner's application for asylum, withholding of removal, and relief under the Convention Against Torture (CAT). As a preliminary matter, the court lacked jurisdiction to consider two of petitioner's claims based on his failure to exhaust administrative remedies.The court held that petitioner failed to show that the IJ and BIA erred in denying his request for asylum. In this case, the BIA did not err in finding that the attack and death threats against petitioner did not amount to past persecution. Furthermore, the IJ and BIA reasonably concluded that petitioner failed to show that his subjective fear of persecution on his return to Albania was objectively reasonable. Because petitioner did not qualify for asylum, he necessarily did not meet the higher threshold for establishing eligibility for withholding of removal.The court noted that its decision does not diminish the injury that petitioner and many other foreign nationals too often suffer in their home countries simply for holding unpopular political beliefs. The court stated that how our Nation deals with refugees is a political decision for the political branches to make. View "Gjetani v. Barr" on Justia Law
Deep v. Barr
The Fifth Circuit denied a petition for review to reopen petitioner's removal proceedings for the second time. After petitioner failed to appear for his removal proceeding, the IJ ordered him removed in absentia. The court agreed with the BIA that petitioner failed to establish the materially changed country conditions necessary to succeed on a successive motion to reopen.In this case, the BIA did not abuse its discretion in determining that petitioner has not shown that there has been a material change, as opposed to a continuation, of overall violent conditions experienced by lower caste members in India since the date of his removal order; the BIA did not abuse its discretion in concluding that incremental worsening of an existing condition does not constitute a changed country condition for the purpose of reopening a removal order; and petitioner's assertion that the IJ and the BIA did not consider his evidence because they did not specifically cite certain articles he submitted cannot overcome the presumption of regularity. View "Deep v. Barr" on Justia Law
Santos-Alvarado v. Barr
The Fifth Circuit denied a petition for review of the BIA's decision affirming the IJ's denial of petitioner's application for asylum, withholding of removal, and protection under the Convention Against Torture (CAT). The court held that the BIA's adverse credibility determinations is supported by substantial evidence. The court also held that, even assuming petitioner's due process rights were violated when the IJ excluded petitioner's psychologist and country conditions expert, petitioner cannot establish prejudice. View "Santos-Alvarado v. Barr" on Justia Law
Nastase v. Barr
Petitioner sought review of the BIA's decision denying his applications for adjustment of immigration status and for a waiver of inadmissibility. Regardless of whether or not the Fifth Circuit applied Chevron deference, the disposition of this case would be the same. The court held that petitioner failed to meet the requirements for derivative citizenship because he admitted in the immigration proceedings that he was only conditionally, not permanently, admitted as a refugee. The court rejected petitioner's claims to the contrary and denied the first petition for review.To the extent that petitioner makes a reviewable challenge to the denial of the waiver of inadmissibility, the court held that it lacks merit. In this case, the BIA did not apply a heightened standard to petitioner and his argument that the BIA should have weighed the equities more in his favor does not establish that the BIA applied a heightened standard to his waiver application and thereby acted ultra vires. To the extent the petition presents the issue of whether the BIA should have weighed the equities of his case more favorably to petitioner, the court is without jurisdiction to consider it. Whether or not the BIA considered each of the facts petitioner alleged, the court is without jurisdiction to review its discretionary decision. Accordingly, as to the second petition, the court denied in part and dismissed in part for lack of jurisdiction. View "Nastase v. Barr" on Justia Law
Alexis v. Barr
Petitioner sought review of the BIA's decision affirming the IJ's decision finding petitioner removable under Section 237(a)(2)(B)(i) of the Immigration and Nationality Act, and denying petitioner's application for asylum, withholding of removal, and protection under the Convention Against Torture (CAT).The Fifth Circuit held that petitioner failed to show a realistic probability that his conviction for possession of cocaine under the Texas statute criminalizes a broader range of conduct than the federal generic definition for cocaine. The court also held that petitioner failed to demonstrate error in the BIA's denial of his applications for asylum, withholding of removal, and protection under the CAT. Accordingly, the court denied the petition for review of the final order of removal and dismissed for lack of jurisdiction the petition for review of his eligibility for relief and protection. View "Alexis v. Barr" on Justia Law
Munoz-Granados v. Barr
The Fifth Circuit denied a petition for review of the BIA's dismissal of petitioner's appeal from the IJ's order denying his applications for asylum, withholding of removal, and protection under the Convention Against Torture (CAT). The court held that substantial evidence supported the BIA's asylum determination, because petitioner failed to show past persecution, a well-founded fear of future persecution, and that it would be unreasonable for him to relocate to another part of Mexico, away from his father's extortionists. Likewise, petitioner failed to carry his burden for withholding of removal. Finally, substantial evidence supported the BIA's denial of CAT protection, because petitioner failed to show that the acts and threats rose to the level of persecution and that the drug cartel—to the extent they torture others in Mexico—do so with the acquiescence of public officials. The court also held that the BIA did not err in determining that the Notice of Hearing triggered the stop-time rule. Furthermore, even if the BIA engaged in impermissible factfinding by adjudicating his request for voluntary departure, rather than remanding the matter to the IJ, the error was harmless. View "Munoz-Granados v. Barr" on Justia Law
Benavides Nolasco v. Crockett
Federal courts lack jurisdiction over challenges to the denial of aliens' applications for LPR status unless and until the challenge has been exhausted in removal proceedings.The Fifth Circuit affirmed the district court's dismissal of plaintiff's appeal based on lack of subject matter jurisdiction. The court held that, under the Administrative Procedure Act (APA), the district court did not have jurisdiction to review the denial of plaintiff's application to USCIS for LPR status, where no removal proceedings had been initiated against him. The court held that Cardoso v. Reno, 216 F.3d 512, 517–18 (5th Cir. 2000), which held that the district court lacked jurisdiction in similar circumstances, was controlling in this case. View "Benavides Nolasco v. Crockett" on Justia Law
Inestroza-Antonelli v. Barr
The Fifth Circuit granted a petition for review of the BIA's decision affirming the IJ's denial of petitioner's motion to reopen her removal proceedings. Petitioner relied in part on the alleged dismantling of institutional protections for women against gender-based violence following a 2009 military coup in Honduras. The court held that the BIA's finding -- that any change in gender-based violence in Honduras was incremental or incidental and not material -- was not supported by the record. In this case, the BIA's complete failure to address uncontroverted evidence of a clearly significant turning point in the country's history and the central role that it played in petitioner's arguments regarding changes in country conditions was an abuse of discretion. Accordingly, the court remanded for further proceedings. View "Inestroza-Antonelli v. Barr" on Justia Law
Arteaga-Ramirez v. Barr
The Fifth Circuit denied a petition for review of the BIA's decision dismissing petitioners' appeal of the IJ's denial of their application for relief under, inter alia, the Convention Against Torture (CAT). Petitioners alleged that their due process rights were infringed when the IJ failed to develop the record with respect to their CAT claim and argued that this warrants remand for further consideration. Assuming without deciding that a due process violation occurred, the court held that petitioners failed to show that the outcome of the proceedings would have been different if the IJ had developed the record further. View "Arteaga-Ramirez v. Barr" on Justia Law
Avelar-Oliva v. Barr
The Fifth Circuit denied the petition for review of the BIA's final order dismissing petitioner's appeal from the IJ's denial of her claims for asylum, withholding of removal, and Convention Against Torture (CAT) relief. The court held that the BIA and the IJ did not err in considering petitioner's credible fear interview when determining her lack of credibility; the court lacked jurisdiction to review petitioner's challenge to the standard of review applied by the BIA in upholding the IJ's adverse credibility determination; to the extent petitioner asserts that the BIA must rely on all of the IJ's findings in support of an adverse credibility determination, she points to no authority to support this proposition; and, considering the totality of the circumstances, no factfinder was compelled to conclude that petitioner was credible. View "Avelar-Oliva v. Barr" on Justia Law