Additional Decisions Regarding Cessation.
Ahmad v. Canada (Citizenship and Immigration), 2023 FC 8 https://canlii.ca/t/jts56
Appeal allowed and cessation decision set aside
Cerna v. Canada (Citizenship and Immigration), 2021 FC 973 https://canlii.ca/t/jjctb
Appeal dismissed; cessation decision upheld
First: Ahmad v. Canada (Citizenship and Immigration), 2023 FC 8
The Ahmad decision, Ahmad v. Canada (Citizenship and Immigration), 2023 FC 8 https://canlii.ca/t/jts56
by Federal Court Justice Peter Pamel sets aside a RPD decision granting the application to cease the refugee status of Rauf Ahmad. Have not seen many of these for a long while.
This does not guarantee that Rauf Ahmad's status is protected. The cessation determination will be decided, now, by another RPD panel. In particular, the outcome favourable to Ahmad, here, is based on the RPD's failure to properly consider and weigh certain evidence as to Ahmad's subjective intentions and credibility. It is entirely feasible that upon assessing such evidence, and following the prescription articulated in the Camayo Federal Court of Appeal decision (discussed at length in previous pages here), a different RPD will reach the same conclusions as to Ahmad's voluntary reavailment of Pakistan's protection, and lose his refugee and PR status.
Note for example the many separate cases involving Ms. Tung, discussed at some length by me above. She had initially succeeded in an appeal, in which a cessation decision was set aside, but eventually another RPD cessation decision was upheld, leading to subsequent proceedings and appeals relating to the process of actually deporting her.
Another individual whose cases I have previously discussed is Davis William Lezama Cerna. It appears I overlooked the most recent installment in his saga, the decision back in 2021, which dismissed Cerna's appeal of the RPD cessation decision. Leading to
Cerna v. Canada (Citizenship and Immigration), 2021 FC 973
As noted at the outset of this post, the decision in Cerna v. Canada (Citizenship and Immigration), 2021 FC 973 https://canlii.ca/t/jjctb upheld the RPD's cessation of Cerna's status.
Remember that way back in 2015, in a case I have discussed previously in this thread (see Cerna 2015 FC 1074 http://canlii.ca/t/gl76g ), Justice O'Reilly had allowed Cerna's appeal of a cessation decision and returned the case to another panel . . . just as Justice Pamel has recently done for Ahmad.
In Cerna's situation, in the meantime, there was the intervening case involving the suspension of his application for citizenship. The decision in that case, Lezama Cerna v. Canada (Citizenship and Immigration), 2019 FC 756 https://canlii.ca/t/j0qwh dismissed Cerna's application for mandamus.
In the last installment of the Cerna saga (which, again, is Cerna v. Canada (Citizenship and Immigration), 2021 FC 973 https://canlii.ca/t/jjctb ), it was also Justice Shirzad Ahmed (see discussion about Singh case in previous post) who rejected Cerna's appeal and upheld the RPD's cessation determination.
Summary:
While the outcome for Ahmad is a positive one, that does not offer a lot of assurance. Where the reasons for setting aside the RPD's cessation are based on the lack of fairness in the procedure, it is clear there remains a very substantial risk that another RPD will still proceed with cessation . . . as has happened in regards to Tung and Cerna, not withstanding how things went for Camayo.
Overall, it is clear that the government is proceeding with cessation cases and those with refugee status should totally avoid obtaining a home country passport, avoid using a home country passport, and avoid travel to the home country. Those who face a compelling need to do otherwise, should exercise the utmost caution in doing so, and be cognizant of the risks involved.
Ahmad v. Canada (Citizenship and Immigration), 2023 FC 8 https://canlii.ca/t/jts56
Appeal allowed and cessation decision set aside
Cerna v. Canada (Citizenship and Immigration), 2021 FC 973 https://canlii.ca/t/jjctb
Appeal dismissed; cessation decision upheld
First: Ahmad v. Canada (Citizenship and Immigration), 2023 FC 8
The Ahmad decision, Ahmad v. Canada (Citizenship and Immigration), 2023 FC 8 https://canlii.ca/t/jts56
by Federal Court Justice Peter Pamel sets aside a RPD decision granting the application to cease the refugee status of Rauf Ahmad. Have not seen many of these for a long while.
This does not guarantee that Rauf Ahmad's status is protected. The cessation determination will be decided, now, by another RPD panel. In particular, the outcome favourable to Ahmad, here, is based on the RPD's failure to properly consider and weigh certain evidence as to Ahmad's subjective intentions and credibility. It is entirely feasible that upon assessing such evidence, and following the prescription articulated in the Camayo Federal Court of Appeal decision (discussed at length in previous pages here), a different RPD will reach the same conclusions as to Ahmad's voluntary reavailment of Pakistan's protection, and lose his refugee and PR status.
Note for example the many separate cases involving Ms. Tung, discussed at some length by me above. She had initially succeeded in an appeal, in which a cessation decision was set aside, but eventually another RPD cessation decision was upheld, leading to subsequent proceedings and appeals relating to the process of actually deporting her.
Another individual whose cases I have previously discussed is Davis William Lezama Cerna. It appears I overlooked the most recent installment in his saga, the decision back in 2021, which dismissed Cerna's appeal of the RPD cessation decision. Leading to
Cerna v. Canada (Citizenship and Immigration), 2021 FC 973
As noted at the outset of this post, the decision in Cerna v. Canada (Citizenship and Immigration), 2021 FC 973 https://canlii.ca/t/jjctb upheld the RPD's cessation of Cerna's status.
Remember that way back in 2015, in a case I have discussed previously in this thread (see Cerna 2015 FC 1074 http://canlii.ca/t/gl76g ), Justice O'Reilly had allowed Cerna's appeal of a cessation decision and returned the case to another panel . . . just as Justice Pamel has recently done for Ahmad.
In Cerna's situation, in the meantime, there was the intervening case involving the suspension of his application for citizenship. The decision in that case, Lezama Cerna v. Canada (Citizenship and Immigration), 2019 FC 756 https://canlii.ca/t/j0qwh dismissed Cerna's application for mandamus.
In the last installment of the Cerna saga (which, again, is Cerna v. Canada (Citizenship and Immigration), 2021 FC 973 https://canlii.ca/t/jjctb ), it was also Justice Shirzad Ahmed (see discussion about Singh case in previous post) who rejected Cerna's appeal and upheld the RPD's cessation determination.
Summary:
While the outcome for Ahmad is a positive one, that does not offer a lot of assurance. Where the reasons for setting aside the RPD's cessation are based on the lack of fairness in the procedure, it is clear there remains a very substantial risk that another RPD will still proceed with cessation . . . as has happened in regards to Tung and Cerna, not withstanding how things went for Camayo.
Overall, it is clear that the government is proceeding with cessation cases and those with refugee status should totally avoid obtaining a home country passport, avoid using a home country passport, and avoid travel to the home country. Those who face a compelling need to do otherwise, should exercise the utmost caution in doing so, and be cognizant of the risks involved.