Niang v. Ashcroft
Niang v. Ashcroft
Opinion of the Court
ORDER
Samba Niang, an alien of undetermined citizenship currently residing in Ohio, petitions through counsel for review of an order of the Board of Immigration Appeals affirming an immigration judge’s decision denying his requests for asylum, 8 U.S.C. § 1158; withholding of removal, 8 U.S.C. § 1231(b)(3); relief under the United Nations Convention Against Torture; and voluntary departure. The parties have waived oral argument, and this panel unanimously agrees that oral argument is not needed in this case. Fed. R.App. P. 34(a).
In his brief before the court, Niang argues: (1) that he was denied due process when his merits hearing was conducted without a translator; (2) that the finding of lack of credibility is unsupported because the forensics report is questionable; and (3) that he established eligibility for asylum.
The decision below was based on a finding of lack of credibility, which is subject to deferential review. Efe v. Ashcroft, 293 F.3d 899, 903 (5th Cir. 2002); SinghKaur v. INS, 183 F.3d 1147, 1149 (9th Cir. 1999). When a fraudulent document is submitted for the purpose of establishing an element of an asylum claim, a finding of lack of credibility is supported by substantial evidence. Akinmade v. INS, 196 F.3d 951, 955-56 (9th Cir. 1999). In this case, the apparently counterfeit birth certificate was submitted to establish Niang’s claim of Mauritanian citizenship, which was essential to his allegations. Therefore, the denial of relief was based on substantial evidence. Niang’s argument that the forensic analysis is questionable is not supported by the record. He maintains that the forensic expert did not have the original document, but only a copy. Even if this were true, it would not explain the findings that the necessary stamps and signatures were missing.
Niang argues that the lack of a translator denied him due process, relying on Amadou v. INS, 226 F.3d 724, 727 (6th Cir. 2000). Although the transcript of the first hearing is difficult to follow in places and indicates that there were communication problems between Niang and the IJ, Niang and his representative agreed to conduct the hearing in English. The denial of relief was not based on these problems, but on the submission of a counterfeit document. At the hearing at which Niang was asked to explain the apparent counterfeit nature of his birth certificate, a translator was present, but Niang merely maintained his assertion that the document was authentic. Thus, the lack of an interpreter at the first hearing did not affect
Finally, we need not address Niang’s argument regarding his ehgibility for asylum. The decision below never reached the merits of the claim since the IJ concluded that Niang’s allegations were incredible.
For all of the above reasons, the petition for review is denied.
Reference
- Full Case Name
- Samba NIANG v. John ASHCROFT, Attorney General Immigration and Naturalization Service
- Cited By
- 1 case
- Status
- Published