Federal 7th Circuit Court
Civil Court
Immigration
Bd. did not err in finding that alien was not eligible for cancellation of removal relief where alien had been convicted on Wisconsin charge of operating vehicle for purposes of fleeing or eluding police officer. Said offense categorically qualified as crime involving moral turpitude, which precluded any cancellation of removal relief, since: (1) said statute required proof that alien knowingly attempted to flee or elude police officer after having been given signal to stop; and (2) alien’s conduct greatly increased risk of endangering police officer and others.