News From The Courts
QUN WANG v. ATTORNEY
GENERAL OF THE UNITED STATES, No. 04-2866 (3d Cir. 2005), 2005 U.S. App.
LEXIS 20227, found that IJ had failed to maintain impartiality as required of
judicial officers.
JUDGES:
Van Antwerpen, Becker, Fuentes(Opinion):
Petitioner
arrived in the United States from China without valid entry documents and was
put into removal proceedings under INA § 212(a)(7)(A)(i)(I), 8 U.S.C. §
1182(a)(7)(A)(i)(I). Petitioner conceded removability but applied for asylum,
withholding of removal, and protection under the Convention against Torture
(CAT). In particular, Petitioner claimed that he had been subject to past
persecution on account of political opinion alleging that his wife was forcibly
sterilized after giving birth to a second child. The Immigration Judge (“IJ”)
found Petitioner lacked credibility and denied him relief from deportation. The
Board of Immigration Appeals (BIA) affirmed. Petitioner appealed.
Petitioner
claimed that because his first daughter was born with a disability and because
Petitioner and his wife wanted to have a son. Petitioner’s wife became
pregnant again in violation of the 1989 Fujian Province Family Planning
regulations and was forcibly dragged from their house and forcibly sterilized by
the Chinese authorities. The officials also fined Petitioner 12,000 RMB (or
"Renminbi"), and upon his refusal to pay, began deducting a penalty
from his parents' retirement pension. Petitioner ultimately left China for the
United States through a smuggler whom he paid approximately $ 60,000 in borrowed
funds.
The
record showed that the IJ's questioned Petitioner during his asylum hearing as
to why he had not paid the fine in order to restore his parents' pension and why
Petitioner had never sought treatment for his daughter in the United States. The
IJ was outraged that Petitioner jeopardized his parents’ pension while he paid
a smuggler and made comment that Petitioner should have taken better care of his
living daughter instead of trying to conceive a son. In the course of her
opinion, the IJ repeatedly focused on Petitioner’s actions towards his elder
daughter and parents.
The
court concluded that the conduct of the IJ itself showed that she had failed to
remain impartial and characterized her conduct as biased and prejudiced. The
court found that the IJ's opinion was highly improper for both its contemptuous
tone and its consideration of personal issues irrelevant to the merits of
Petitioner's asylum claim. The court pointed out that the IJ was not called upon
to determine whether Petitioner was a good father and son but whether
petitioner’s wife had been forcibly sterilized and whether, if he returned to
China, the Chinese government would inflict improper punishment on him for
leaving the country. The court stressed that IJs may not use the "personal
choices that an asylum applicant has made concerning marriage, children, and
living arrangements" to evaluate an alien's credibility.
The
court concluded that it could not credit the IJ’s adverse credibility
determination because it was unsupported by substantial evidence. The court
granted the petition for review and recommended that on remand the case would be
assigned to a different IJ.
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