Meet Your Presenters. Overview 3/6/2018. Renewing DOJ Recognition and Accreditation Under the New Rule March 7, 2018

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Renewing DOJ Recognition and Accreditation Under the New Rule March 7, 2018 Meet Your Presenters Sarah Bankard Capacity Building Specialist World Relief Laura Burdick Field Support Coordinator CLINIC 2 Overview Background on new rule Eligibility requirements for R&A Reporting, recordkeeping, and posting Application forms, evidence, & process Resources 3 1

Recent Rule Change R&A rules mostly unchanged since 1984 Revision process started in 2012 Final rule took effect on January 18, 2017 Administration of R&A transferred from Board of Immigration Appeals (BIA) to Office of Legal Access Programs (OLAP) Program now called DOJ R&A 4 Eligibility for Recognition Must be a non-profit religious, charitable, social service or similar organization Must provide services primarily to low-income and indigent clients within the U.S. (NEW) If org. charges fees, must have a written policy for persons unable to pay (NEW) Must have Federal tax exempt status (NEW) Must have at least 1 accredited rep (NEW) Must have access to adequate knowledge, information, & experience on immigration law & procedure Must designate authorized officer to act on org s behalf (NEW) 5 Other Changes to Recognition Recognition must be renewed every 6 years Organizations recognized before 1/18/17 must renew in 1-3 years before starting 6 year cycle First time recognition is conditional, for 2 years Extension of recognition to sub-offices Reporting, recordkeeping, and posting requirements Updated forms EOIR-31 and EOIR-31A; both mandatory 6 2

When to renew recognition the first time? Orgs. without an accred. rep. on 1/18/17 were required to apply for renewal of recognition within 1 year (prior to 1/18/18) Orgs. that were recognized more than 10 years as of 1/18/17 must apply for renewal within 2 years (prior to 1/18/19) Orgs. that were recognized less than 10 years as of 1/18/17 must apply for renewal within 3 years (prior to 1/18/20) 7 Extension of Recognition For each sub-office, must attest that organization periodically conducts inspections, exercises supervision and control over accredited reps, and provides access to adequate legal resources OLAP may require separate recognition if distinct operations, management structure, or funding sources Supporting documentation would include: organizational chart, law library resources, budget, & fee schedule 8 Reporting, Recordkeeping, & Posting Recognized organization has duty to promptly report any changes to OLAP (within 30 days) Recognized organization must compile fee schedules and annual summary and retain for 6 years from date record is created Org. may be required by OLAP to post certain public notices regarding R&A 9 3

What s in the annual summary? Total number of clients served (includes client intakes; applications prepared and filed with USCIS; cases in which the organization s attorneys or accredited representatives appeared before the Immigration Courts or the Board; or referrals to attorneys or other organizations); Total number of clients served at no cost; General description of immigration legal services & other immigration-related services (e.g., educational or outreach events) provided; Statement regarding whether services were provided pro bono or clients were charged in accordance with fee schedule; Organization s policies/guidance on fee waivers and reduced fees; and List of the offices or locations where immigration legal services were provided 10 Eligibility for Accreditation Must be employee or volunteer of organization Must have character and fitness to represent clients Must possess broad knowledge and adequate experience in immigration law and procedure Cannot be attorney who is eligible to practice law in the U.S. Cannot have resigned while under disciplinary investigation or proceeding Cannot be subject to any order disbarring or restricting practice of law Cannot be convicted of a serious crime anywhere in the world 11 What is character and fitness? Criminal background Prior acts involving dishonesty, fraud, deceit, or misrepresentation Past history of neglecting professional, financial, or legal obligations Current immigration status that presents actual or perceived conflict of interest ***Includes, but not limited to factors above. 12 4

Application Forms & Process Form EOIR-31, https://www.justice.gov/eoir/file/eoir31/downl oad Form EOIR-31A, https://www.justice.gov/eoir/file/eoir31a/down load 13 Completing Form EOIR-31 Part 1. Organization Seeking Recognition Part 2. Type of Recognition Sought Parts 3 & 4. Extension of Recognition to Other Offices Evidence: Any additional relevant information that is different from HQ 14 Complete Parts 5-9 and submit supporting documentation for any information that has changed since last recognition date If nothing has changed, skip to Part 10 15 5

Part 5. Proof of Non-profit Religious, Charitable, Social Service, or Similar Organization Evidence: mission statement/statement of purpose (required) and constitution, charter, by-laws, etc. (optional) Skip this section if nothing has changed. 16 Part 6. Federal Tax-exempt Status Evidence: IRS tax determination letter OR alternative documentation of status OR proof that status applied for and pending Skip this section if your tax-exempt status has not changed. 17 Part 7. Knowledge of Immigration Law and Procedures Evidence: organizational chart, technical legal support arrangement, attorney staff resumes 18 6

Technical Legal Support Requirement Dates back to 2008 (Matter of EAC, Inc.) Must have a letter from attorney or fully accredited representative stating: Background and qualifications in immigration law Knowledge of agency/staff Will answer immigration law and procedure questions for agency If any fees charged for this support Good to recommend agency/staff as well CLINIC provides TLS for affiliates. More information: https://cliniclegal.org/affiliates/subscription 19 Part 8. List of Print and Electronic Resources Evidence: list of law library materials If these have not changed, skip this section. 20 Part 9. Provides Services Primarily to Low- Income and Indigent Clients Evidence: budget, fee schedules for all locations, list of membership dues, fee waiver policy/guidance, fee reduction policy/guidance 21 7

Part 10. Renewal of Recognition Evidence: supporting documentation for any information in the previous sections that has changed, annual summary of legal services for each year from January 2017 to renewal date 22 Part 11. Declaration of Authorized Officer Part 12. Proof of Service on USCIS District Director(s) https://www.uscis.gov/about-us/find-uscis-office 23 Completing Form EOIR-31A Part 1. Organization Seeking Accreditation of Representative Part 2. Name of Proposed Representative Part 3. Type of Accreditation Sought 24 8

What is needed for full accreditation? Find a local attorney or fully accredited rep. to be your mentor Get hands-on experience observing cases in immigration court and working on court cases Get formal training on court skills 25 Completing Form EOIR-31A Part 4. Qualifications for Accreditation Part 5. Renewal of Accreditation Evidence: resume, training certificates and agendas 26 How do I show character & fitness? Attestations of the authorized officer of the organization and the proposed representative Letters of recommendation Favorable background checks 27 9

Training Tips On-going training Mix of in-person, e-learning, and webinars recommended Keep detailed record of all trainings attended with proof List trainings on resume since last accreditation date List who gave the training, title, date, location, type of training Include on-going training in annual budget 28 Completing Form EOIR-31A Part 6. Declaration of Authorized Officer and Proposed Representative Part 7. Proof of Service on USCIS District Director(s) 29 Accreditation Renewal Application Packet Brief cover letter with table of contents Form EOIR-31A, https://www.justice.gov/eoir/file/eoir31a/download Supporting documentation: resume, proof of trainings, copy of previous letter of approval for accreditation 30 10

R&A Application Process OLAP reviews application and may request additional information USCIS has 30 days to respond OLAP sends letter with decision in writing (separate decisions for R&A) If denied organization may file request for reconsideration within 30 days If denial upheld, organization may request administrative review within 10 days If denied, organization may re-apply 31 What do I need to do now? Check your agency information on the R&A roster and make sure it is up to date: https://www.justice.gov/eoir/recognition-accreditationroster-reports Determine when you need to renew agency recognition Think about who will be your authorized officer Review new EOIR-31 & EOIR-31A Ensure you have a system in place to collect information required for annual summary at the end of each year 32 Resources R&A Toolkit and Step-by-Step Guide: https://cliniclegal.org/r&a EOIR R&A Website and FAQs: http://www.justice.gov/eoir/recognition-and-accreditationprogram CLINIC training calendar: https://cliniclegal.org/training/calendar IAN training calendar: https://www.immigrationadvocates.org/nonprofit/calendar/ 33 11

Questions? 34 Register at cliniclegal.org/convening. 12