Decision date: 2019-03-28

Holding that district courts have jurisdiction to review immigration determinations when they constitute a collateral challenge in a criminal proceeding and declining to reach whether a collateral challenge to a Temporary Protected Status (TPS) determination in a criminal proceeding is permissible because the Petitioner failed to assert a due process violation that would render the 2002 adjudication of his TPS application fundamentally unfair.

Publication Status: Published

Case judge: Duncan, Motz, Quattlebaum

Decision: United States v. Guzman-Velasquez, 919 F.3d 841 (4th Cir. 2019)