Mouns v. Garland, No. 22-1368 (4th Cir. 2024)
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Hussein Ahmed Mouns, a native of Ethiopia and citizen of Yemen, has been in the United States since 1996. He applied for asylum and withholding of removal in 1997, which were denied by an immigration judge in 1999 and affirmed by the Board of Immigration Appeals (BIA) in 2002. Mouns filed motions to reopen his proceedings in 2003 and 2004 to pursue asylum, withholding of removal, and protection under the Convention Against Torture (CAT), which were denied by the BIA in 2003 and 2005. In 2020, Mouns filed a third motion to reopen based on changed country conditions in Yemen, citing the ongoing civil war and potential persecution due to his religion and imputed political opinion.
The BIA denied Mouns’s 2020 motion to reopen, applying the stringent standard from In re Coelho, which requires the movant to show that the new evidence would likely change the result of the case. Mouns requested reconsideration, arguing that the BIA should have used the less burdensome "reasonable likelihood" standard from In re L-O-G-. The BIA denied reconsideration, reaffirming the use of the Coelho standard without addressing the L-O-G- standard.
The United States Court of Appeals for the Fourth Circuit reviewed the BIA’s decision. The court found that the BIA abused its discretion by not following its own precedents, which limit the Coelho standard to cases with special, adverse considerations. The court noted that the BIA did not identify any such considerations in Mouns’s case and should have applied the "reasonable likelihood" standard. Consequently, the Fourth Circuit granted Mouns’s petition for review, vacated the BIA’s decision denying reconsideration, and remanded the case for further proceedings.
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