The following excerpt is from Ye v. Lynch, 15-766 NAC (2nd Cir. 2016):
Moreover, the agency reasonably relied further on Ye's failure to submit corroborating evidence sufficient to rehabilitate his testimony. See Biao Yang v. Gonzales, 496 F.3d 268, 273 (2d Cir. 2007). The agency reasonably declined to credit evidence that was inconsistent with Ye's testimony, as well as unsworn letters from Ye's mother and friend in China. See Y.C. v. Holder, 741 F.3d 324, 334 (2d Cir. 2013).
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