News From The Courts
In
this case from the Third Circuit, a national of Bangladesh, Bismillah Miah (“Miah”),
petitioned for review of a decision of the Board of Immigration Appeals (“BIA”
or “Board”). The Board had ordered Miah removed to his home country.
The
Immigration Judge had denied Miah’s petition for political asylum and
withholding of removal on the basis that Miah’s testimony lacked credibility
and corroboration to sustain the burden of proof. The BIA rejected the
Immigration Judge’s adverse credibility determination, but still dismissed the
appeal on the grounds that Miah had failed to corroborate the events on which he
based his claim. The Third Circuit held that the BIA failed to properly analyze
the issue of corroboration in accordance with previous rulings.
The
Third Circuit Court held that while the BIA emphasized that Miah failed to
produce documentary evidence corroborating the specifics of his claim, the BIA
did not explain which “particular aspects of his testimony it would have been
reasonable to expect him to have corroborated.” Similarly, the BIA merely
reiterated the Immigration Judge’s findings regarding Miah’s attempts to
corroborate his story. Thus, the BIA’s failure to provide it’s own rationale
precluded meaningful review.
The
court held that while it might be appropriate for the BIA to adopt an
Immigration Judge’s findings regarding corroboration in certain cases, the BIA
erred by doing so in this case. Here, the Immigration Judge found Miah not to be
credible because “his testimony regarding the alleged incidents lacked
sufficient detail.”
In
this case, testimony found to be incredible by the IJ was transformed into
credible testimony by the BIA. However, the BIA did not explain how the
transformation affects the degree of corroboration required for Miah to sustain
the burden of proof. In other words, once Miah was deemed to be a credible
asylum applicant, which of the events on which he bases his claims must then be
corroborated and to what degree?
The
Third Circuit held that because the BIA’s failure of explanation made it
impossible to review its rationale, the matter has to be remanded to the BIA so
that it can refer the case to the Immigration Judge with instructions to assume
credibility and conduct a new corroboration analysis.
In
this case from the United States District Court for the Eastern District of
Pennsylvania, Dennis Clark petitioned the court for Writ of Habeas Corpus. The
Writ was granted.
Dennis Clark (“Clark”),
an alien in detention, sought a Writ of Habeas Corpus when he claimed that his
continued detention by the Bureau of Immigration and Customs Enforcement (“BICE”)
violates his Fifth Amendment due process rights. The Government responded that
the petition must be denied because Clark’s extended detention was entirely
attributable to his failure to provide accurate personal information.
Initial
deportation against Clark had began in April 1991 when he was serving time for a
theft conviction. At that time Clark swore that he was born in Kingston,
Jamaica, and had entered the U.S. in 1979. However, he was not deported and in
1995 he was released, pending final removal. Between 1996 and 1998 there were
numerous arrests for thefts and receiving stolen property, but no convictions.
However, Clark had pleaded guilty to burglary and trespass in 1998; he was
convicted twice in 1990 for theft and receipt of stolen property; and he pleaded
guilty to criminal attempt and theft in 1990. In 1998, Clark again entered INS
custody after his arrest by the INS officials. He had remained in custody since
that date. But in June 2001 he claimed that he was a citizen of the United
Kingdom, and communicated with the British Consulate General in Houston, TX, and
applied for a U.K. passport.
Following
a custody status review in January of 2003, the INS refused to release Clark for
failure to assist in obtaining a travel document. The report stated that Clark
had failed to provide any documentation regarding his identity or citizenship to
assist the INS in effecting his departure from the United States.
The
court found that the INS had over two years to obtain travel documents from the
United Kingdom in order to effectuate Clark’s removal from the United States.
Communications with the British consulate commenced on May 22, 2002. The
government had not shown any evidence of how Clark had not cooperated since that
time.
Using
the dates set forth, Clark’s post-order removal period lasted a maximum of one
year, 11 months (June 6, 2001, to the date this court stayed Clark’s removal,
May 30, 2003). And it lasted a minimum of just over one year (May 22, 2002, to
May 30, 2002). Either way, the 90 day statutory period for removal had ended.
The court, therefore, found that the 90 day statutory removal period had expired
and that Clark’s actions were insufficient to toll that period.
The court held that the longer an alien is detained beyond six months, the less foreseeable his removal becomes. The court concluded that the INS had detained Clark beyond a reasonable removal period for at least three months, or at most one year, two months. Either period would have been sufficient to conclude that Clark’s removal would no longer be reasonably foreseeable. Continued detention of Clark would have been in contravention to the laws of the United States. So, although the BICE and Clark may effect his removal some day, the court concluded that his removal was not reasonably foreseeable. Therefore, Clark’s petition for a writ of habeas corpus was granted, and BICE was ordered to release Clark under supervision, pending his final removal from the United States.
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