District Court, W.D. Washington, 2024

Yahya v. Jaddou

Yahya v. Jaddou
District Court, W.D. Washington · Decided November 18, 2024
Yahya v. Jaddou

Trial Court Opinion

1 District Judge Jamal N. Whitehead

7 UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF WASHINGTON 8 AT SEATTLE YAHYA YAHYA, Case No. 2:24-cv-01143-JNW Plaintiff, STIPULATED MOTION TO HOLD 11 v. CASE IN ABEYANCE AND [PROPOSED] ORDER UR JADDOU, et al., Noted for Consideration: 13 Defendants. November 12, 2024 15 Plaintiff and Defendants, by and through their counsel of record, pursuant to Federal Rule of Civil Procedure 6 and Local Rules 7(d)(1), 10(g) and 16, hereby jointly stipulate and move to stay these proceedings until May 15, 2025. Plaintiff brought this litigation pursuant to the Administrative Procedure Act and Mandamus Act seeking, inter alia, to compel the U.S. Citizenship and Immigration Services (“USCIS”) adjudicate his Form I-589, Application for Asylum and for Withholding of Removal. Defendants’ response to the Complaint is currently due on November 15, 2024. The parties are currently working towards a resolution to this litigation. For good cause, the parties request that the Court hold the case in abeyance until May 15, 2025.

1 Courts have “broad discretion” to stay proceedings. Clinton v. Jones, 520 U.S. 681, 706 (1997). “[T]he power to stay proceedings is incidental to the power inherent in every court to control the disposition of the causes on its docket with economy of time and effort for itself, for counsel, and for litigants.” Landis v. N. Am. Co., 299 U.S. 248, 254 (1936); see also Fed. R. Civ. 5 P. 1.

6 With additional time, this case may be resolved without the need of further judicial intervention. USCIS has scheduled Plaintiff’s asylum interview for January 15, 2025. USCIS agrees to diligently work towards completing the adjudication within 120 days of the interview, absent unforeseen or exceptional circumstances that would require additional time for adjudications. If the adjudication is not completed within that time, USCIS will provide a status report to the Court. Plaintiff will submit all supplemental documents and evidence, if any, to USCIS seven to ten days prior to the interview date. Plaintiff recognizes that failure to submit documents prior to the interview may require the interview to be rescheduled and the adjudication delayed. If needed, Plaintiff will bring an interpreter to the interview, otherwise the interview will need to be rescheduled and the adjudication delayed. After the interview, USCIS will need time to adjudicate Plaintiff’s asylum application. Once the application is adjudicated, Plaintiff will dismiss the case with each party to bear their own litigation costs and attorneys’ fees. Accordingly, the parties request this abeyance to allow USCIS to conduct Plaintiff’s asylum interview and then process his asylum applications.

20 As additional time is necessary for this to occur, the parties request that the Court hold the case in abeyance until May 15, 2025. The parties will submit a joint status report on or before May 15, 2025.

23 // // 1 DATED this 12th day of November, 2024.

2 Respectfully submitted, TESSA M. GORMAN CHUNG, MALHAS & MANTEL, PLLC United States Attorney s/ Michelle R. Lambert s/ Dr. Dima N. Malhas MICHELLE R. LAMBERT, NYS #4666657 DR. DIMA N. MALHAS WSBA# 44370 Assistant United States Attorney 1037 NE 65th Street, Ste. 80171 United States Attorney’s Office Seattle, Washington 98115 Western District of Washington Phone: (206) 264-8999 1201 Pacific Avenue, Suite 700 Email: [email protected] Tacoma, Washington 98402 Phone: (253) 428-3824 Attorney for Plaintiff Fax: (253) 428-3826 Email: [email protected] Attorneys for Defendants I certify that this memorandum contains 412 words, in compliance with the Local Civil Rules.

1 [PROPOSED] ORDER 2 The case is held in abeyance until May 15, 2025. The parties shall submit a joint status ||report on or before May 15, 2025. It is so ORDERED.

5 DATED this 18th day of November, 2024.

7 ie— JAMAL N. WHITEHEAD 8 United States District Judge STIPULATED MOTION FOR ABEYANCE UNITED STATES ATTORNEY [Case No. 2:24-cv-01143-JNW] - 4 1201 PACIFIC AVE., STE. 700

Case-law data current through December 31, 2025. Source: CourtListener bulk data.