828 F.3d 898 (9th Cir. 2016)
Flores v. Lynch is a pivotal Ninth Circuit decision that clarifies how the long-standing 1997 Flores Settlement Agreement (FSA) regulates the federal government's detention, treatment, and release of noncitizen minors.
1) Does the Flores Settlement Agreement apply to minors who are detained together with their parents (accompanied minors), or only to unaccompanied minors? 2) Does the FSA require the government to release a minor's accompanying parent to comply with the agreement's release provisions? 3) Do family residential centers that are not licensed by a state to care for dependent children satisfy the FSA's placement requirements?
The Flores Settlement Agreement governs the detention, release, and treatment of all immigrant "minors," defined as any person under 18 in immigration custody of the INS (and its successors). The FSA requires that minors be released without unnecessary delay, preferably to a parent, legal guardian, adult relative, or other approved custodian, and, if not released, that they be held in a non-secure facility licensed by an appropriate state authority to care for dependent children. Emergency and influx provisions allow limited, temporary deviations but do not eliminate core requirements such as prompt release and licensed placement. The FSA does not create a right to release for adults and does not compel the government to release parents who are detained.
The Ninth Circuit affirmed in part and reversed in part. It held that: (1) the FSA applies to all minors in immigration custody, including those accompanied by a parent; (2) the FSA's requirement that minors be placed in non-secure, state-licensed facilities applies regardless of whether a minor is accompanied; and (3) the FSA does not require DHS to release a detained parent to comply with the agreement's release provisions for minors. The court remanded for further proceedings consistent with these holdings.
For law students, Flores v. Lynch is a canonical example of consent decree enforcement, textual interpretation of settlement agreements, and the interaction between class settlements and later-enacted statutes. It cements that the FSA's protections extend to all minors, shaping nationwide detention policy and litigation strategy. Simultaneously, it draws a firm line against expanding a child-focused consent decree to mandate release of adults, illustrating limits on judicial modification of settlements and on third-party beneficiary claims. The decision has influenced subsequent policy debates over family detention, family separation, and the treatment of children in immigration custody.