U.S. Court of Appeals for the Tenth Circuit
Martinez-Perez v. Bondi
August 24, 2026
Summary
The court denied the petition for review because the petitioner failed to exhaust his equitable-tolling theory before the agency, despite having argued that the agency should use an alternative age-calculation method. The court also concluded that the petitioner was ineligible for cancellation of removal because his qualifying child was over 21 when the immigration judge ruled. The court declined to consider the petitioner's remaining arguments because they depended on equitable tolling.