9th Cir.

Garcia Garcia v. Blanche

July 21, 2026 ·25-7464 ·Unpublished · By Raj Patel

The Ninth Circuit granted in part and denied in part a petition for review of a Board of Immigration Appeals decision. The court remanded the case regarding a family-based asylum claim but upheld the denial of a claim based on physical resemblance to a murdered brother.

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Background

Petitioner Abel Ricardo Garcia Garcia sought review of the Board of Immigration Appeals decision dismissing his appeal of an Immigration Judge’s denial of asylum, withholding of removal, protection under the Convention Against Torture, and cancellation of removal.

The court’s reasoning

The court reviewed the Board’s decision de novo for legal questions and for substantial evidence regarding factual findings. The court found the Board erred in concluding that the petitioner’s family particular social group lacked social distinction, noting that family remains the quintessential particular social group under circuit precedent. However, the court found substantial evidence supported the Board’s conclusion that a group defined by substantial physical likeness to a murdered brother lacked social distinction. The court also denied the Convention Against Torture claim because the petitioner failed to exhaust the claim before the Board.

What it means going forward

The case is remanded to the Board of Immigration Appeals to perform a proper analysis of the family-based particular social group claim, while the denial of the physical likeness claim and the Convention Against Torture claim stands.