News From The Courts
Ememe
v. Ashcroft
US
Court of Appeals for the 7th Circuit
2004
U.S. App. LEXIS 2312
The
Petitioner, a native of Ethiopia, sought review of an immigration judge’s
order denying her application for asylum and withholding of removal.
The petitioner claimed that she was raped and tortured during an
imprisonment in Ethiopia. Her
imprisonment was based upon her ethnicity.
Her mother, father and brother were killed by the same group that
arrested her. The petitioner was
able to flee to Italy, where she worked as a house servant for seven years
before traveling to the United States.
Upon
arrival in the United States, the INS officers interviewed her with the aid of
an Italian translator. The officers
were unable to obtain an interpreter who spoke the petitioner’s native
language of Amharic. When she
appeared before the immigration judge, she explained that she was unable to
fully explain herself in Italian because it was much easier to express her
feelings in her native language.
The
immigration judge rejected her testimony because he found that it was not
supported by corroborating evidence and because it was inconsistent with the
information that she had given at her credible fear interview, which was
conducted with the Italian translator. However,
her testimony before the IJ was aided by a translator of Amharic.
The IJ did not consider the petitioner’s ability to comprehend the
questions posed at the credible fear interview.
The BIA affirmed without opinion.
The
Court determined that the petitioner’s Italian language skills were crucial to
the disposition of her claims. The
Court reviewed the testimony that was offered to determine that there were
important matters skipped in the interview.
When the petitioner responded in an unclear fashion, the interviewer
simply moved on to the next question without attempting to clarify the
statement. The Court held that
absent an evaluation of the petitioner’s language skills, the testimonial
inconsistencies alone did not provide adequate support for the immigration
judge’s conclusion that Ememe’s testimony was not credible.
The matter was remanded for a determination of the petitioner’s ability
to accurately communicate in Italian at her credible fear interview.
*****
Rai
v. Ashcroft
Ninth
Circuit Court of Appeals
2004
U.S. App. LEXIS 2982
Hakumat
Singh Rai, a Sikh from the Punjab region of India, petitioned for review
of an order of the Board of Immigration Appeals which affirmed the IJ's decision
to deny his application for asylum.
The
Appellant’s asylum claim rests on his assertion that he was a victim of past
persecution in India on account of his religion and political opinion.
The IJ did not make a specific finding that the Petitioner was not a
credible witness, and the BIA summarily affirmed the IJ without opinion.
The Ninth Circuit held that as a result of either the IJ or BIA’s failure to make an express finding regarding the Appellant’s credibility, which was a determinative issue in the denial of his application for asylum, the case must be remanded to the IJ to make an express credibility determination.
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