Opinion · Court of Appeals for the Fourth Circuit

Chen Lin-Jian, A/K/A Jian Cheng Lin v. Alberto R. Gonzales, Attorney General

489 F.3d 182

Type
Opinion
Court
Court of Appeals for the Fourth Circuit
Jurisdiction
Federal
Date
2007-05-30
Topic
general

concluding that applicant’s testimony lacked credibility where he claimed to be in hiding but continued reporting to work | concluding that applicant's testimony lacked credibility where he claimed to be in hiding but continued reporting to work | explaining that “[i]t is not clear whether the IJ would have [rejected the claim]” absent a mistaken factual finding | explaining that an asylum applicant must be offered “an opportunity to explain the absence” of corroborating evidence from the record | noting that although “[i]nconsistent statements, contradictory evidence, and inherently improbable testimony” constitute cogent reasons for an adverse credibility finding, “speculation, conjecture, or an otherwise unsupported personal opinion” do not (internal quotation marks omitted) | explaining that despite adverse credibility finding regarding petitioner’s subjective fear of future persecution, IJ made no credibility findings regarding petitioner’s past persecution, and therefore IJ was "essentially silent” on petitioner’s credibility on that issue | “When an IJ is silent on the issue of credibility, it is appropriate to presume that the applicant testified credibly.” | “The requirement that the applicant provide a reasonable explanation for the lack of corroborating evidence ‘presumes that the IJ offers a petitioner an opportunity to explain the absence.’” | “The BIA interprets this provision to cover the spouse of a person subjected to a forced abortion or sterilization, [], and the government does not challenge this interpretation.”

Citator

Cited by
27 opinions