The Sixth Circuit has denied a petition for review filed by a Guatemalan Maya Quiché man who sought suppression of identity evidence obtained during a police stop and withholding of removal and CAT protection based on an intrafamilial land dispute with political undertones.
The Court held that the officer's stop was supported by reasonable suspicion after he personally witnessed a littering violation, defeating any Fourth Amendment suppression claim, and that the absence of Miranda warnings does not render statements inadmissible in civil removal proceedings. The Court also held that the petitioner forfeited his challenge to a noncompliant notice to appear by raising it more than a year after Niz-Chavez was decided and long after the close of proceedings, and that substantial evidence supported the agency's finding that his great uncle's threats were motivated by a personal land dispute rather than any protected ground.
The full text of Perez-Hernandez v. Blanche can be found here: https://www.opn.ca6.uscourts.gov/opinions.pdf/26a0208p-06.pdf