The Tenth Circuit has denied a petition for review of the BIA’s denial of an untimely motion to reopen. The Salvadoran petitioner sought reopening based on additional evidence, including the detention of his partner in El Salvador, and argued that equitable tolling should excuse the late filing.

The Court held that the BIA did not abuse its discretion in finding that the petitioner failed to show due diligence or extraordinary circumstances. General assertions about detention, limited access to counsel, limited English, and limited legal resources were insufficient, particularly where the petitioner had previously pursued administrative and judicial review while pro se. The Court denied the petition, while granting in forma pauperis status.

The full text of Bonilla-Espinoza v. Blanche can be found here: https://www.ca10.uscourts.gov/sites/ca10/files/opinions/010111444458.pdf

Comment