Balde v. Gonzales
Opinion of the Court
SUMMARY ORDER
UPON DUE CONSIDERATION, it is hereby ORDERED, ADJUDGED, AND DECREED that the petition for review of the Board of Immigration Appeals (“BIA”) decision is DENIED.
Abdoulaye Balde petitions for review of the December 11, 2003 BIA decision denying his claims for asylum and withholding of removal. We assume the parties’ familiarity with the underlying facts and procedural history.
Where the BIA summarily affirms the decision of an IJ, this Court reviews the IJ’s decision as the final agency determination. Twum v. INS, 411 F.3d 54, 58 (2d Cir. 2005). This Comet reviews an IJ’s factual findings under the substantial evidence standard, and “a finding will stand if it is supported by ‘reasonable, substantial, and probative’ evidence in the record when considered as a whole.” Secaida-Rosales v. INS, 331 F.3d 297, 307 (2d Cir. 2003) (quoting Diallo v. INS, 232 F.3d 279, 287 (2d Cir. 2000)); see also 8 U.S.C. § 1252(b)(4)(B). Credibility determinations are also reviewed under the substantial evidence standard, and this Court’s review of an adverse credibility determination is “highly deferential.” Xu Duan Dong v. Ashcroft, 406 F.3d 110, 111 (2d Cir. 2005) (per curiam). “Where the IJ’s adverse credibility finding is based on specific examples in the record of inconsistent statements by the asylum applicant about matters material to his claims of persecution, or on contrary evidence or inherently improbable testimony regarding such matters, a reviewing court will generally not be able to conclude that a reasonable adjudicator was compelled to find otherwise.” Zhou Yun Zhang v. INS, 386 F.3d 66, 74 (2d Cir. 2004).
In this case, the IJ denied Balde’s claims for relief on the grounds that Balde’s testimony was not credible and he failed to meet his burden of proof. The IJ based his findings, inter alia, on the following: a) the inconsistency between Balde’s testimony that he received his U.S. visa within three months of being released from pris
Because the IJ gave specific and cogent reasons for his adverse credibility determination in the form of examples of inconsistent statements material to Balde’s claim — that the Guinean government persecuted Balde for his political activities— substantial evidence supports the IJ’s finding. See Zhou Yi Ni v. U.S. DOJ, 424 F.3d 172, 174 (2d Cir. 2005) (per curiam) (noting that where a credibility determination is based on specific examples of contradictory evidence that undermine the crux of the claim, an adverse credibility determination should be upheld.)
To the extent Balde challenges the IJ’s findings of a lack of corroborative evidence, this finding was not the sole basis for the IJ’s determination. Diallo, 232 F.3d at 287 (stating that the lack of corroborative evidence may be a factor in making an adverse credibility determination, just not the sole reason for the determination). Further, although we agree with Balde that the IJ erred in failing to permit Balde’s witness, Mamadou Sadio, to testify, see Kaur v. Ashcroft, 388 F.3d 734, 737 (2d Cir. 2004), we do not remand this case to the BIA for a new hearing because the IJ’s adverse credibility finding would have been unaffected by the witness’s testimony. Where an IJ commits legal error, we will affirm if he or she independently relies on a sustainable basis, such as that the applicant’s testimony was not credible. See Zhang, 386 F.3d at 78-79. The IJ’s credibility finding rests on the inconsistencies in Balde’s testimony, affidavit and submitted documents in which Balde’s witness would not have been able to remedy had he been allowed to testify.
Accordingly, the petition for review is denied and Blade’s pending motion for a stay of removal is denied.
Reference
- Full Case Name
- Abdoulaye BALDE v. Alberto R. GONZALES
- Status
- Published