News From the Courts
Jalloh v. Ashcroft
U.S. Court of Appeals for the
First Circuit
2004
U.S. App. LEXIS 13957
Cherno Jalloh, a citizen of
Sierra Leone, applied for asylum eight months after being admitted on a
non-immigrant visa into the United States in 1998.
Upon appearing before an immigration judge to support his claim of asylum
due to political opinion, the judge determined that Jalloh not only did not
prove himself a credible witness but consequently also did not prove a “well
founded fear of persecution on account of race, religion, nationality,
membership in a particle social group, or political opinion” if he was to
return to Sierra Leone.
Following the immigration
judge’s decision, the Board of Immigration Appeals (BIA) affirmed the
judge’s denial of Jalloh’s asylum petition. However,
the BIA did overturn the IJ’s determination that Jalloh was not a credible
witness.
Upon the BIA restoring
Jalloh’s credibility, Jalloh appealed to the US Court of Appeal, stating that
the IJ had denied his petition because a “well found fear of persecution”
could not be established partially due to the IJ’s decision that Jalloh was
not credible.
While in Sierra Leone, Jalloh
lived in the town on Kenema with his parents and siblings and attended secondary
school. On December 2, 1998
returned to his home to find his house on fire and him mother, father and four
siblings shot to death. Jalloh believed that his father’s support of the
Kamajors caused the renegade soldiers to target his family after hearing that
another family that supported the Kamajors was also targeted that day.
After feeling to a displacement camp Jalloh meet his father’s friend,
Abdul Traore, who took him to safety in Guinea and then provided him with a
false passport with Jalloh’s picture so that he could gain access the United
States.
This false passport and a false
Sierra Leonean identification card caused not only Jalloh questionability as a
credible witness but also made it hard to positively connect Jalloh to Sierra
Leone and the persecution he might have received there.
The US Court of Appeals,
however, found that in addition to the fact that the BIA did restore Jalloh’s
credibility, Jalloh presented probable evidence to connect his family’s
political opinion and the violence his family suffered.
The court also stated that Jalloh evidence seemed to show that he would
be recognized and target if he was to return to his country.
Because of the BIA’s reversal of credibility and wrong assignment of
burden of proof, the court vacated the order of the BIA and remanded to further
consider the case.
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