Reina Izabel Garcia-Martinez v. John Ashcroft, Attorney General

371 F.3d 1066, 2004 U.S. App. LEXIS 11589, 2004 WL 1301918
CourtCourt of Appeals for the Ninth Circuit
DecidedJune 14, 2004
Docket02-74068
StatusPublished
Cited by147 cases

This text of 371 F.3d 1066 (Reina Izabel Garcia-Martinez v. John Ashcroft, Attorney General) is published on Counsel Stack Legal Research, covering Court of Appeals for the Ninth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Reina Izabel Garcia-Martinez v. John Ashcroft, Attorney General, 371 F.3d 1066, 2004 U.S. App. LEXIS 11589, 2004 WL 1301918 (9th Cir. 2004).

Opinion

RAWLINSON, Circuit Judge:

Reina Garcia-Martinez (Garcia) has survived atrocities that most of us experience only in our worst nightmares. Her rural village in Guatemala was pillaged by both the guerillas and the military. Garcia’s eventual rape was inextricably tied to the village’s affiliation, in the minds of the Guatemalan military, with the guerillas. Because “[pjersecution is stamped on every page of this record[,]” Lopez-Galarza v. INS, 99 F.3d 954, 959 (9th Cir.1996) (citation omitted),' and the IJ’s determination that Garcia failed to demonstrate past persecution is not supported by substantial evidence, we GRANT the Petition for Review and REMAND Garcia’s case to the BIA, so that the agency can determine whether Garcia is eligible for asylum.

I. FACTUAL BACKGROUND 1

Garcia was born in the village of San Andres Villa Seca in Guatemala in *1070 1973. Twenty to twenty-five families lived in the small, rural village. When Garcia was about nine years old, fighting between the Guatemalan military and insurgent guerillas spilled over into her village. At first, it appeared that the guerillas, rather than the military posed a greater threat to the villagers. The guerillas “would come at night and they would start knocking on the doors, they beat the people and most of all, they took the men[.]” They kidnapped approximately twenty people from the village — roughly “one man per family.” Those who resisted the forced conscrip-tions were killed.

A year later, eight to ten guerillas came to Garcia’s home seeking additional recruits. Although Garcia’s father fought off the guerillas and managed to escape, the guerillas kidnapped her brother. Garcia’s family has neither seen nor heard from her brother since that day. They did not report his abduction to the police “[bjecause the guerillas said that if [they] told anything to the police, they were going to kill[her] brother.”

A few years afterwards, the Guatemalan military, like the guerillas, began coming to the village. Although the villagers initially believed that the soldiers were there to protect them, the military soon began to beat the men, women, and children within the village. They also raped the women. Indeed, over the course of the next several years, someone in the village was raped by soldiers “[a]bout every 8 to 15 days.” According to Garcia, the military targeted the village, and retaliated against its residents based on the mistaken belief that the villagers had voluntarily joined, and were thus attempting to aid, the guerillas.

The military’s conduct went unchecked and largely unreported. The villagers were afraid to report the attacks because the soldiers threatened to kill them if they told the police. Even if a villager dared to make the two-hour trek to the nearest police station to report an attack by the military, the police rarely took action. In fact, rather than investigate a villager’s complaint, the police would tell the military which villager made the report. The military would then carry out the murderous threats.

When Garcia was about sixteen years old, she saw firsthand what happened to those who reported military assaults. She woke up one morning to find, outside of a neighbor’s house, “the bodies of eight people, men, women, and children, lined up on the ground, dead.” According to the villagers, “someone in the family had reported an earlier attack by the military soldiers to the police, and ... the military soldiers had returned and killed the family.”

When Garcia was nineteen, the violence invaded her home once again. Soldiers came at nine o’clock one night. They pounded on the door, waking the family, and demanding entrance. The soldiers forced their way into the house and began beating Garcia’s father. Garcia “knew the men were military soldiers by the dark green and coffee colored clothing they wore” and the machine guns they all held. Garcia described what happened next:

The military soldiers told my father not to speak or they would kill him. When my mother begged them to stop hitting my father, they began to hit my mother, too. The soldiers told my father that they wanted to eat and to be with a woman. When my mother and father tried to talk to the soldier, the soldiers would not listen and continued to hit my *1071 father until two of them took him outside and tied him up behind the back of the house. One of the soldiers came back inside of the house, told my mother that she had to cook food for them, and took her by force to the kitchen and made her cook food for them'. While my mother was in the kitchen cooking food and my father was tied up, I was left alone with one of the soldiers. The soldier hit me with his gun and fists and then held my arms down while he raped me. When he was finished, the other two soldiers took turns raping and beating me.

Before the soldiers left, they told the family that if anyone revealed what they had done, they would return and hurt them again. When the soldiers left, they took the food Garcia’s mother had cooked, as well as the family’s flashlights and the gas they had for their lamps. After the soldiers left, Garcia and her mother went out back to untie her father, who was badly hurt and bleeding from the head.

Because her father was afraid that the soldiers would return if Garcia remained at home, he told Garcia to go to her aunt’s house. Garcia made the thirty-minute trek while “hurt, bleeding, and ashamed.” When she arrived at her aunt’s house, they turned on all the lights so the military soldiers could not surprise them during the night. Because Garcia’s aunt was afraid that Garcia had been followed by the soldiers, and that they would come to her house next, Garcia’s aunt suggested that Garcia leave for the United States. Although no one in her family had ever gone to the United States, Garcia was afraid that the soldiers would hurt her again, or hurt her aunt. Consequently, once Garcia recovered from her injuries,, she made her way to Mexico and then to the United States. She never returned home, and has not seen her family since she left Guatemala.

II. PROCEDURAL BACKGROUND

In 1998, the Immigration and Naturalization Service (“INS”) issued a Notice to Appear, alleging that Garcia was removable from the United States under the Immigration and Nationality Act § 212(a)(6)(A)(I), because she had entered the country without having been admitted or paroled. In lieu of removal, Garcia requested relief in the form of asylum, withholding of removal, relief under the Convention Against Torture, and voluntary departure.

When testifying before the IJ, Garcia recounted the use of forced conscription by the guerillas, including her own brother’s kidnapping, as well as the Guatemalan military’s resulting, but mistaken, belief that the villagers supported the guerilla movement. Garcia also detailed the systematic rapes committed by the military, and her own eventual rape.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Garcia-Torres v. Bondi
Ninth Circuit, 2025
Mansilla-Jimenez v. Bondi
Ninth Circuit, 2025
L. M. v. Garland
Ninth Circuit, 2024
Romero Alas v. Garland
Ninth Circuit, 2023
Pedraza Pimentel v. Garland
Ninth Circuit, 2023
Chanpreet Kaur v. Robert Wilkinson
986 F.3d 1216 (Ninth Circuit, 2021)
Hong Vo v. William Barr
Ninth Circuit, 2020
Narinder Singh v. Matthew Whitaker
914 F.3d 654 (Ninth Circuit, 2019)
Marta Bolvito Canahui v. Loretta E. Lynch
642 F. App'x 745 (Ninth Circuit, 2016)
Gerardo Martinez Velasquez v. Eric Holder, Jr.
605 F. App'x 641 (Ninth Circuit, 2015)
Lydia Garcia-Milian v. Eric Holder, Jr.
755 F.3d 1026 (Ninth Circuit, 2014)
Giovanni Rosal v. Eric Holder, Jr.
545 F. App'x 704 (Ninth Circuit, 2013)
Herminio Acevedo-Perez v. Eric Holder, Jr.
514 F. App'x 682 (Ninth Circuit, 2013)
Salazar Castellano v. Holder
412 F. App'x 925 (Ninth Circuit, 2011)
Igna v. Holder
406 F. App'x 114 (Ninth Circuit, 2010)
Javhlan v. Holder
626 F.3d 1119 (Ninth Circuit, 2010)

Cite This Page — Counsel Stack

Bluebook (online)
371 F.3d 1066, 2004 U.S. App. LEXIS 11589, 2004 WL 1301918, Counsel Stack Legal Research, https://law.counselstack.com/opinion/reina-izabel-garcia-martinez-v-john-ashcroft-attorney-general-ca9-2004.