The Fourth Circuit has determined that when the Board of Immigration Appeals (Board) dismisses the appeal of a denied application for cancellation of removal, and remands solely to address eligibility for voluntary departure, the 30-day deadline for filing a petition for review begins on the date of the Board’s denial of cancellation.

The full text of Rodriguez Salgado v. Garland can be found here:

https://www.ca4.uscourts.gov/opinions/211864.P.pdf

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