Ninth Circuit: Rodriguez v. Garland

 

Agency did not abuse its discretion in refusing to reopen an immigration proceeding on the basis of changed country conditions, as the petitioner did not produce evidence of a material change in the conditions within the country; while a change in personal circumstances can make the changed conditions more relevant to the petition, even such a hybrid claim would require a showing of changed conditions to reopen the proceeding.


Rodriguez v. Garland