SHEN V. GARLAND, No. 16-71315 (9th Cir. 2024)
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Peng Shen, a Chinese citizen, applied for asylum, withholding of removal, and relief under the Convention Against Torture, claiming she was subjected to a forced abortion in China in 2003. Shen testified that a mandatory premarital health exam revealed her pregnancy, leading to the forced abortion. During cross-examination, DHS counsel suggested that the Chinese government had eliminated the premarital health check-up requirement by January 2003, causing Shen to become flustered and change her testimony.
The Immigration Judge (IJ) denied Shen's application, finding her not credible based on her demeanor and inconsistencies in her testimony. The IJ noted Shen's initial confusion about the abortion date, her inconsistent statements about the premarital check-up, and discrepancies in her documentary evidence. The Board of Immigration Appeals (BIA) upheld the IJ's decision, focusing on Shen's inconsistent testimony about the premarital check-up and the notarial certificate's incorrect date.
The United States Court of Appeals for the Ninth Circuit reviewed the case. The court determined that DHS counsel had misstated Chinese law regarding the premarital check-up requirement, which was repealed effective October 1, 2003. This misstatement likely affected the IJ's adverse credibility determination. The court concluded that Shen's flustered response to the incorrect information could have been due to the pressure of the situation rather than dishonesty.
The Ninth Circuit granted Shen's petition for review and remanded the case for further proceedings, instructing the agency to reassess Shen's credibility without the influence of the incorrect legal information provided during cross-examination. The court emphasized the need to consider the totality of the circumstances in making credibility determinations.
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