Marvin A.G. v. Merrick Garland, No. 22-1499 (4th Cir. 2023)
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Petitioner sought review of the Board of Immigration Appeals (Board) order denying his motion to reconsider the dismissal of his requests for asylum, withholding of removal, and protection under the Convention Against Torture (CAT). In its order denying reconsideration, the Board affirmed the Immigration Judge’s (IJ) finding that Petitioner, a Salvadoran national whose entire family had fled to the United States, had not established a nexus between his family membership and the threat of persecution as required for his asylum and withholding of removal claims. The Board also affirmed the IJ’s finding that Petitioner had not shown acquiescence by public officials as required for his CAT claim.
The Fourth Circuit granted in part and denied in part the petition for review, vacated in part the Board’s order denying reconsideration, and remanded for further proceedings. The court explained that the Board abused its discretion by applying an incorrect legal standard in its nexus analysis for the Petitioner’s asylum and withholding of removal claims. The court also held with regard to these two claims that the Board abused its discretion by arbitrarily disregarding Petitioner’s testimony about the threat of future persecution. However, the court rejected Petitioner’s argument that the Board abused its discretion with regard to his CAT claim. The Board provided specific reasons for finding the Petitioner’s testimony insufficient to meet his burden of proof and appropriately evaluated the evidence under the futility exception.
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