The Ninth Circuit has determined that an ethnic Armenian who entered the United States as a Soviet citizen acted diligently in seeking post-conviction relief within a few months of being notified that Armenia was accepting certain Soviet citizens and therefore, that she was in danger of being removed. “Contrary to the government’s position at oral argument, it is unreasonable to expect a ‘stateless’ individual to take affirmative steps to challenge removability when they do not face an immediate threat of removability.” “Instead, for individuals born during the Soviet era or who are otherwise deemed ‘stateless’ for purposes of removability, we hold that it is reasonable to expect that an individual will begin to take action to challenge removability only once that individual learns that they can be removed to a country and thus are no longer ‘stateless.’”

The full text of Eskilian v. Bondi can be found here: https://cdn.ca9.uscourts.gov/datastore/opinions/2026/04/02/20-72157.pdf

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