Federal Agencies, Agency Memos & Announcements

Reminder: USCIS Extends Flexibilities for Responding to Agency Requests until 3/23/23

1/24/23 AILA Doc. No. 20050133.

January 24, 2022

USCIS extended certain COVID-19-related flexibilities through 3/23/23. USCIS will consider a response received within 60 calendar days after the due date set forth in the notice, if the request or notice was issued between 3/1/20 and 3/23/23.

The notice states that "USCIS anticipates that, barring changes presented by the pandemic, this will be the final extension of these accommodations, and requesters must comply with the response requirements set forth in any request or notice dated after March 23, 2023."


October 24, 2022

USCIS extended certain COVID-19-related flexibilities through 1/24/23. USCIS will consider a response received within 60 calendar days after the due date set forth in the notice, if the request or notice was issued between 3/1/20 and 1/24/23 inclusive.


July 25, 2022

USCIS announced it will extend its previously announced flexibilities for responding to certain agency requests and for filing Forms I-290B and N-336 through October 23, 2022. Under these flexibilities, USCIS considers a response received within 60 calendar days after the due date set forth in the request or notice before taking any action. These flexibilities apply to requests or notices issued between March 1, 2020, and October 23, 2022, inclusive. USCIS also announced that the reproduced signature flexibility announced in March 2020, will become permanent policy on July 25, 2022.


March 30, 2022

USCIS announced that, in response to the ongoing COVID pandemic, it extended the flexibilities it announced on March 30, 2020, for responding to certain agency requests. This flexibility applies if the issuance date listed on the request, notice, or decision is between March 1, 2020, and July 25, 2022, inclusive.


December 30, 2021

USCIS announced that, in response to the ongoing COVID pandemic, it extended the flexibilities it announced on March 30, 2020, for responding to certain agency requests. This flexibility applies if the issuance date listed on the request, notice, or decision is between March 1, 2020, and March 26, 2022, inclusive.


September 24, 2021

USCIS announced that, in response to the ongoing COVID pandemic, it extended the flexibilities it announced on March 30, 2020, for responding to certain agency requests. This flexibility applies if the issuance date listed on the request, notice, or decision is between March 1, 2020, and January 15, 2022, inclusive.


June 24, 2021

USCIS announced that, in response to the ongoing COVID pandemic, it extended the flexibilities it announced on March 30, 2020, for responding to certain agency requests. This flexibility applies if the issuance date listed on the request, notice, or decision is between March 1, 2020, and September 30, 2021, inclusive.


March 24, 2021

USCIS announced that, in response to the ongoing COVID-19 pandemic, it is extending the flexibilities originally announced on March 30, 2020. This flexibility applies to certain documents if the issuance date listed on the request, notice, or decision is between March 1, 2020, and June 30, 2021, inclusive.


January 28, 2021

USCIS announced that, in response to the ongoing COVID-19 pandemic, it is extending the flexibilities originally announced on March 30, 2020. This flexibility applies to certain documents if the issuance date listed on the request, notice, or decision is between March 1, 2020, and March 31, 2021, inclusive.


December 18, 2020

USCIS announced that, in response to the ongoing COVID-19 pandemic, it is extending the flexibilities originally announced on March 30, 2020. This flexibility applies to documents if the issuance date listed on the request, notice, or decision is between March 1, 2020, and January 31, 2021, inclusive.

Response Due Date:

USCIS will consider a response to the above requests and notices received within 60 calendar days after the response due date set in the request or notice before taking any action. Additionally, USCIS will consider a Form N-336 or Form I-290B received up to 60 calendar days from the date of the decision before it take any action.


September 11, 2020

USCIS announced that, in response to the COVID-19 pandemic, it is extending flexibilities previously announced on March 30, 2020, to assist applicants and petitioners who are responding to certain agency requests.

This flexibility applies if the issuance date listed on the request, notice, or decision is between March 1, 2020, and January 1, 2021, inclusive. USCIS will consider a response to requests and notices received within 60 calendar days after the response due date set in the request or notice before taking any action. Additionally, USCIS will consider a Form N-336 or Form I-290B received up to 60 calendar days from the date of the decision before it takes any action.


July 1, 2020

USCIS announced that, in response to the COVID-19 pandemic, it is extending flexibilities previously announced on March 30, 2020, to assist applicants and petitioners who are responding to certain:

  • Requests for Evidence;
  • Continuations to Request Evidence (N-14);
  • Notices of Intent to Deny;
  • Notices of Intent to Revoke;
  • Notices of Intent to Rescind and Notices of Intent to Terminate regional investment centers;
  • Filing date requirements for Form N-336, Request for a Hearing on a Decision in Naturalization Proceedings (Under Section 336 of the INA); or
  • Filing date requirements for Form I-290B, Notice of Appeal or Motion.
  • This flexibility applies to the above documents if the issuance date listed on the request, notice or decision is between March 1 and Sept. 11, 2020, inclusive. USCIS will consider a response to the above requests and notices received within 60 calendar days after the response due date set in the request or notice before taking any action.


    May 1, 2020

    USCIS announced that, in response to the COVID-19 pandemic, it is extending flexibilities previously announced on March 30, 2020.


    March 30, 2020

    In response to the COVID-19 pandemic, USCIS announced flexibility in responding to certain Notices of Intent to Revoke (NOIR) and Notices of Intent to Terminate (NOIT) regional investment centers, as well as certain filing date requirements for Form I-290B, Notice of Appeal or Motion.


    March 27, 2020

    In response to the COVID-19 pandemic, USCIS announced that for applicants and petitioners who receive an RFE or NOID dated between 3/1/20 and 5/1/20, any responses submitted within 60 calendar days after the response deadline will be considered by USCIS before any action is taken.