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Case TitleKILMER v. U.S. CUSTOMS AND BORDER PROTECTION
DistrictDistrict of Columbia
CityWashington, DC
Case Number1:2017cv01566
Date Filed2017-08-02
Date Closed2023-11-15
JudgeJudge Colleen Kollar-Kotelly
PlaintiffPAUL F. KILMER
Case DescriptionPaul Kilmer submitted a FOIA request to U.S. Customs and Border Protection for records concerning whether individuals planning to attend the Women's March in Washington on January 21, 2017 from Canada were denied entrance to the United States. The agency acknowledged receipt of the request, but after hearing nothing further from the agency, Kilmer filed suit.
Complaint issues: Public Interest Fee Waiver, Failure to respond within statutory time limit, Litigation - Attorney's fees

DefendantU.S. CUSTOMS AND BORDER PROTECTION
Documents
Docket
Complaint
Complaint attachment 1
Opinion/Order [31]
FOIA Project Annotation: Ruling in a suit brought by Paul Kilmer for records reflecting why individuals attempting to cross the border from Canada to travel to the Women's March on Washington held January 21, 2017, were stopped by Customs and Border Protection agents, Judge Colleen Kollar-Kotelly discussed the obligation of an agency to not only conduct an adequate search for records in response to a FOIA request, but also to sufficiently explain via agency affidavits the reasons for determining the parameters of the search. Kilmer, who participated himself in the January 17 rally, submitted his FOIA request after the media reported that Canadian citizens were stopped at the border and turned back if they indicated they intended to participate in the Women's March. In response to Kilmer's request, the agency told him that after conducting a comprehensive records search, the agency found no responsive records. Kilmer then filed two administrative appeals to the agency, which went unanswered. However, after Kilmer filed suit, the agency conducted additional searches and located 937 pages responsive to Kilmer's multi-part request. The agency redacted records under Exemption 5 (privileges), Exemption 6 (invasion of privacy), Exemption 7(C) (invasion of privacy concerning law enforcement records), and Exemption 7(E) (investigative methods or techniques). At this point, Kilmer focused on challenging the adequacy of the agency's search. Addressing the agency's search, Kollar-Kotelly noted that CBP's FOIA Appeals Officer Shari Suzuki had overseen the agency's search. Suzuki had referred portions of Kilmer's request to six separate offices at CBP: (1) the Office of Congressional Affairs, (2) the Office of Public affairs, (3) the Intergovernmental Public Liaison Office, (4) the Office of the Commissioner, (5) the Policy Directorate, and (6) the Office of Field Operations. OCA searched using terms such as "women's march," "women," and "inauguration." The searched yield three responsive records. At the OPA, the Director of Media searched for records involving media engagement. That search yielded no responsive records. The Office of Field Operations includes 20 field offices. CBP searched many of them, particularly those near the Canadian border. Most of those searches yielded no records, but a search of the Buffalo Office found 612 pages of emails and attachments. In responding to Kilmer's multi-part request, CBP conducted separate searches pertaining to various portions of the request. The agency had developed a spreadsheet containing 230 lines, which the agency narrowed down with Kilmer's help. It then was able to locate 186 responsive pages, as well as winnowing down a potential 1228 pages to 76 responsive pages. Another search yielded 653 pages of records related to the agency's social media posts from a request for information from the House and Senate Appropriations Committee staff on news reports of individuals denied entry from Canada. Having reviewed the detailed description of CBP's multiple searches, Kollar-Kotelly indicated that she found the agency had shown that it searches were adequate. She pointed out that "the detailed declaration provided by the CBP's Chief of FOIA Appeals demonstrates the agency's fulsome response to each of Plaintiff's six categories of records. In response to those requests, CBP conducted multiple searches of its relevant electronic databases, which collect and store the agency's information related to individuals deemed inadmissible at the border. CBP has explained the scope and contents of the databases searched and may rely on such 'authoritative' agency databases as part of a reasonable search for responsive records." Kollar-Kotelly pointed out that the 'reasonableness' of CBP's FOIA search 'is necessarily "dependent upon the circumstances of the case."' And here, the 'circumstances of the case' include the realities of coordinating a document search across a large executive agency like CBP, which includes 60,000 employees over numerous offices and regions. Accounting for this disparate reach, CBP's search methodology in this case broadly employed the assistance of various agency components. Suzuki plausibly explains why CBP selected these components as likely sources of responsive records, based on both their geographic relevance and subject-matter relevance to Plaintiff's six-part FOIA request. The comprehensive, agency-wide approach further demonstrates the overall 'reasonableness' of CBP's FOIA search in this case." Kilmer argued that the fact the agency initially told him that it had no records inferred that the search was not adequate. However, Kollar-Kotelly noted that "the fact that CBP supplemented its initial search and subsequently retrieved additional responsive documents does not necessarily evince bad faith on behalf of the agency." She added that "as such, the Court declines to find bad faith or draw inferences against CBP here, based upon the agency's initial inability to locate responsive documents, which it later identified and produced to Plaintiff." Kollar-Kotelly faulted the agency for its failure to sufficiently explain its exemption claims. She observed that "CBP's categorical justifications for its FOIA withholdings fail to facilitate a 'meaningful review' of its claimed FOIA exemptions. Because CBP provides only broad categorical explanations for its claimed FOIA exemptions, the Court is unable to clearly discern which of the agency's justifications apply to any of the various redactions made. This approach is contrary to the agency's obligation to 'provide a relatively detailed justification, specifically identify the reasons why a particular exemption is relevant, and correlate those claims with the particular part of a withheld document to which they apply.'" To rectify the problem, Kollar-Kotelly ordered the agency to supplement its affidavits.
Issues: Adequacy - Search, Litigation - Vaughn index
Opinion/Order [51]
User-contributed Documents
 
Docket Events (Hide)
Date FiledDoc #Docket Text

2017-08-021COMPLAINT against U.S. CUSTOMS AND BORDER PROTECTION ( Filing fee $ 400 receipt number 0090-5058590) filed by PAUL F. KILMER. (Attachments: # 1 Civil Cover Sheet)(Kilmer, Paul) (Entered: 08/02/2017)
2017-08-02Case Assigned to Judge Colleen Kollar-Kotelly. (md) (Entered: 08/03/2017)
2017-08-03SUMMONS (3) Not Issued as to U.S. CUSTOMS AND BORDER PROTECTION, U.S. Attorney, U.S. Attorney General. (SUMMONS WERE NOT SUBMITTED AT THE TIME COMPLAINT WAS FILED) (zmd) (Entered: 08/03/2017)
2017-08-042ORDER ESTABLISHING PROCEDURES FOR CASES ASSIGNED TO JUDGE COLLEEN KOLLAR-KOTELLY. Signed by Judge Colleen Kollar-Kotelly on 08/04/2017. (DM) (Entered: 08/04/2017)
2017-08-043ENTERED IN ERROR.....REQUEST FOR SUMMONS TO ISSUE filed by PAUL F. KILMER.(Kilmer, Paul) Modified on 8/7/2017 (znmw). (Entered: 08/04/2017)
2017-08-07NOTICE OF ERROR re 3 Request for Summons to Issue; emailed to paulkilmer@msn.com, cc'd 0 associated attorneys -- The PDF file you docketed contained errors: 1. Please refile document, 2. ENTERED IN ERROR; Incorrect forms; Refile using correct summons, AO 440. (znmw, ) (Entered: 08/07/2017)
2017-08-094REQUEST FOR SUMMONS TO ISSUE filed by PAUL F. KILMER.(Kilmer, Paul) (Entered: 08/09/2017)
2017-08-095SUMMONS (3) Issued Electronically as to U.S. CUSTOMS AND BORDER PROTECTION, U.S. Attorney and U.S. Attorney General (Attachment: # 1 Consent Form)(zsb) (Entered: 08/09/2017)
2017-09-116ANSWER to Complaint by U.S. CUSTOMS AND BORDER PROTECTION.(Simon, Jeremy) (Entered: 09/11/2017)
2017-09-277ORDER. The parties shall file the schedule not later than October 30, 2017. Signed by Judge Colleen Kollar-Kotelly on 9/27/2017. (lcckk1) (Entered: 09/27/2017)
2017-09-27Set/Reset Deadlines: Parties shall file the schedule by 10/30/2017. (dot) (Entered: 10/03/2017)
2017-10-308Joint STATUS REPORT by U.S. CUSTOMS AND BORDER PROTECTION. (Simon, Jeremy) (Entered: 10/30/2017)
2017-11-08MINUTE ORDER: The Court has received the parties' 8 Status Report and Proposed Schedule. For the reasons stated in the Status Report, Defendant shall provide the spreadsheet referenced in Paragraph 5 to Plaintiff on or before NOVEMBER 15, 2017. The parties shall file a further Joint Status Report with the Court on or before DECEMBER 15, 2017, that proposes a schedule for proceeding in this matter, including a processing schedule for any further production. Signed by Judge Colleen Kollar-Kotelly on November 8, 2017. (lcckk1) (Entered: 11/08/2017)
2017-11-09Set/Reset Deadlines: Joint Status Report due by 12/15/2017; (tth) (Entered: 11/09/2017)
2017-12-159STATUS REPORT of the Parties by U.S. CUSTOMS AND BORDER PROTECTION. (Simon, Jeremy) (Entered: 12/15/2017)
2018-01-02MINUTE ORDER: The Court has received the parties' 9 Status Report and Proposed Schedule. With the consent of the parties, the Court adopts Defendant's proposed schedule for further processing and production of documents that may be responsive to Part 1, as well as documents that may be responsive to Part 5, of Plaintiff's Freedom of Information Act ("FOIA") request. Accordingly, Defendant shall make the next production on or before JANUARY 5, 2018 , and a further production on or before FEBRUARY 5, 2018 . Plaintiff requests that Defendant provide a " Vaughn index on a rolling basis," pointing to the "lengthy timetable proposed by CBP for production of records responsive to the FOIA request." ECF No. 9, ¶ 15. Defendant opposes, offering instead to provide the index at the time of anticipated summary judgment motions. Id. ¶ 7. At this time, the Court agrees with Defendant that Plaintiff's request for a Vaughn index on a rolling basis is premature. See, e.g. , Citizens for Responsibility & Ethics in Wash. v. Fed. Election Comm'n , 711 F.3d 180, 187 n.5 (D.C. Cir. 2013) (observing that "district courts typically rely on [ Vaughn indices] in adjudicating summary judgment motions in FOIA cases"). The Court may reconsider with appropriate justification. The parties shall file a further Joint Status Report with the Court on or before FEBRUARY 8, 2018 , that jointly proposes a schedule for proceeding in this matter, including, if necessary, a schedule for processing any other documents that may be responsive to Parts 1, 3, 4, 5, and 6 of Plaintiff's request, see ECF No. 9, ¶ 14 (raising concern that Defendant's proposed production may not be comprehensive), an updated processing schedule for production of documents responsive to Part 2 of Plaintiff's FOIA request, and a schedule for any summary judgment briefing in this case. In the Joint Status Report, Defendant shall indicate, in light of its initial review and production of documents responsive to Part 2 of Plaintiff's FOIA request, whether its decision not to search and review the documents according to Plaintiff's proposed search terms confirms that its approach to processing the documents is the more appropriate method by which to proceed. See id. ¶¶ 5, 10. Defendant shall also specify, in response to Part 2, "whether the 'approximately 230 individuals' identified on [Defendant's] spreadsheet include persons denied entry on national security grounds." Id. ¶ 13. The Joint Status Report shall also confirm whether the Court correctly infers, on the basis of the Complaint, that Plaintiff did not seek expedited consideration of his FOIA request at the time his request was filed. Signed by Judge Colleen Kollar-Kotelly on January 2, 2018. (lcckk1) (Entered: 01/02/2018)
2018-01-03Set/Reset Deadlines: Defendant shall make the next production on or before 1/5/2018, and a further production on or before 2/5/2018. (kt) (Entered: 01/03/2018)
2018-02-0810STATUS REPORT of the Parties by U.S. CUSTOMS AND BORDER PROTECTION. (Attachments: # 1 Plaintiff's Exhibit to Status Report)(Simon, Jeremy) (Entered: 02/08/2018)
2018-03-1211Joint STATUS REPORT and Proposed Schedule by U.S. CUSTOMS AND BORDER PROTECTION. (Simon, Jeremy) (Entered: 03/12/2018)
2018-03-16MINUTE ORDER: The Court has received the parties' 10 Status Report and Proposed Schedule and their 11 Joint Status Report and Proposed Schedule. The parties continue to dispute the appropriate method to search and process records that may be responsive to Part 2 of Plaintiff's request. The friction appears to concern not only the scope of Plaintiff's request, but also to some extent Plaintiff's timing expectations; the Court notes that Plaintiff's FOIA request did not seek expedited treatment. In any event, the parties jointly propose an "interim" round of summary judgment briefing. As far as the Court understands and insofar as applicable to a given part of Plaintiff's request, this interim round would cover the adequacy of Defendant's search and withholdings with respect to all six parts of Plaintiff's request, except that, with respect to Part 2, the briefing would address only the 180-page sample of Part 2 documents that has been released thus far. Based on the Court's disposition of Defendant's and, if applicable, Plaintiff's motions for summary judgment, the parties would address remaining Part 2 issues accordingly. Defendant effectively proposes a stay of its search and production obligations during briefing on cross-motions for summary judgment. The Court shall not grant a stay that would amount to more than three months for briefing and further time for the Court's decision. Despite the inefficient use of Court resources that the parties' proposed method would entail, the Court is nevertheless prepared to grant the parties' request for a summary judgment briefing schedule, which would require the submission of a Vaughn index and any in camera submission, contingent on Defendant's agreement to continue to search and produce documents during the pendency of the motion. The parties shall file a further Joint Status Report by MARCH 30, 2018 , indicating whether they accept this contingency and, if still applicable, proposing such revised summary judgment briefing schedule as may then be appropriate. Signed by Judge Colleen Kollar-Kotelly on March 16, 2018. (lcckk1) (Entered: 03/16/2018)
2018-03-16Set/Reset Deadlines: Joint Status Report due by 3/30/2018. (dot) (Entered: 03/19/2018)
2018-03-2912Joint STATUS REPORT by U.S. CUSTOMS AND BORDER PROTECTION. (Attachments: # 1 Plaintiff's Attachment A, # 2 Plaintiff's Attachment B)(Simon, Jeremy) (Entered: 03/29/2018)
2018-04-30MINUTE ORDER: The Court has received the parties' 12 Joint Status Report and Proposed Schedule. The Court had agreed to entertain summary judgment briefing as to a portion of Plaintiff's FOIA request, "contingent on Defendant's agreement to continue to search and produce documents during the pendency of the motion." Min. Order of Mar. 16, 2018. Defendant has not consented to this contingency. Accordingly, in the interest of efficient resolution of this case, the Court shall not issue a schedule for summary judgment briefing at this time. Defendant shall resume processing and production to Plaintiff of documents responsive to Part 2 of Plaintiff's FOIA request. Defendant has indicated that it will make its first such production on April 30, 2018, "unless the Court orders otherwise." After its first production, Defendant thereafter shall make monthly productions to Plaintiff. The parties indicate that they continue to discuss a way to narrow the scope of Part 2 of Plaintiff's FOIA request. They shall submit a Joint Status Report to the Court on or before MAY 14, 2018 , regarding the status of these negotiations and Defendant's latest processing and production. The Court declines Plaintiff's latest, albeit narrowed request to compel Defendant to produce a Vaughn index, this time of only documents that Defendant has completely withheld. The Court again finds that production of a Vaughn index at this intermediate juncture would be premature, particularly in light of Defendant's rejection of the Court's above-described contingency for accepting summary judgment briefing at this time. The Court again recognizes that Plaintiff did not request expedited treatment of his FOIA request and that Vaughn indices are typically reserved for dispositive motions. See Min. Order of Jan. 2, 2018; Min. Order of Mar. 16, 2018. Signed by Judge Colleen Kollar-Kotelly on April 30, 2018. (lcckk1) (Entered: 04/30/2018)
2018-05-01Set/Reset Deadlines: Joint Status Report due by 5/14/2018. (tb) (Entered: 05/01/2018)
2018-05-1413Joint STATUS REPORT by U.S. CUSTOMS AND BORDER PROTECTION. (Simon, Jeremy) (Entered: 05/14/2018)
2018-05-21MINUTE ORDER: The Court has received the parties' 13 Joint Status Report and Proposed Schedule, which indicates that the parties have agreed on a way to narrow Part 2 of Plaintiff's FOIA request and that Defendant has continued its review accordingly. Defendant shall continue to process and provide interim responses to Plaintiff on a monthly basis until all potentially responsive records have been processed. Defendant anticipates providing a final response by the end of July 2018. The parties shall file a further Joint Status Report by no later than AUGUST 14, 2018 , regarding the status of Defendant's latest processing and production, and proposing a briefing schedule, if necessary. Signed by Judge Colleen Kollar-Kotelly on May 21, 2018. (lcckk1) (Entered: 05/21/2018)
2018-05-21Set/Reset Deadlines: Joint Status Report due by 8/14/2018, regarding the status of Defendant's latest processing and production, and proposing a briefing schedule, if necessary. (dot) (Entered: 07/09/2018)
2018-08-1414Joint STATUS REPORT by U.S. CUSTOMS AND BORDER PROTECTION. (Simon, Jeremy) (Entered: 08/14/2018)
2018-08-16MINUTE ORDER: The Court has received the parties' 14 Joint Status Report and Proposed Schedule. Defendant indicates that it has completed its review and processing of Part 2 of Plaintiff's FOIA request, as narrowed, and accordingly now considers its review and processing of Plaintiff's entire FOIA request to be complete. In light of Plaintiff's intention to challenge the adequacy of Defendant's search and certain of its withholdings, the parties seek a briefing schedule. The Court shall adopt the parties' generous proposed schedule in the accompanying Scheduling and Procedures Order. Signed by Judge Colleen Kollar-Kotelly on August 16, 2018. (lcckk1) (Entered: 08/16/2018)
2018-08-1615SCHEDULING AND PROCEDURES ORDER. Signed by Judge Colleen Kollar-Kotelly on August 16, 2018. (lcckk1) (Entered: 08/16/2018)
2018-08-16Set/Reset Deadlines: Cross Motions for Partial Summary Judgment and for Leave to Conduct Limited Discovery due by 10/26/2018. Response to Cross Motions due by 11/28/2018. Reply to Cross Motions due by 12/28/2018. Defendant's Summary Judgment Motion due by 9/26/2018. Response to Motion for Summary Judgment due by 10/26/2018. Reply to Motion for Summary Judgment due by 11/28/2018. (dot) (Entered: 08/21/2018)
2018-09-2116Consent MOTION for Extension of Time to File Defendant's Motion for Summary Judgment and for Adjustment of Related Deadlines by U.S. CUSTOMS AND BORDER PROTECTION (Attachments: # 1 Proposed Order)(Simon, Jeremy) (Entered: 09/21/2018)
2018-09-24MINUTE ORDER: The Court has received Defendant's 16 Consent Motion for Extension of Time for Defendant to File Its Motion for Summary Judgment and for Adjustment of Related Deadlines. With Plaintiff's consent, the Court shall GRANT Defendant's 16 Consent Motion, for good cause shown. The Court shall adopt the parties' generous proposed schedule in the accompanying Amended Scheduling and Procedures Order. Signed by Judge Colleen Kollar-Kotelly on September 24, 2018. (lcckk1) (Entered: 09/24/2018)
2018-09-2417AMENDED SCHEDULING AND PROCEDURES ORDER. Signed by Judge Colleen Kollar-Kotelly on September 24, 2018. (lcckk1) (Entered: 09/24/2018)
2018-09-24Set/Reset Deadlines: Cross Motions due by 11/26/2018. Response to Cross Motions due by 12/31/2018. Reply to Cross Motions due by 1/22/2019. Summary Judgment motions due by 10/29/2018. Response to Motion for Summary Judgment due by 11/26/2018. Reply to Motion for Summary Judgment due by 12/31/2018. (kt) (Entered: 09/24/2018)
2018-10-2418Consent MOTION for Extension of Time to File Motion for Summary Judgment by U.S. CUSTOMS AND BORDER PROTECTION (Attachments: # 1 Proposed Order)(Simon, Jeremy) Modified on 10/25/2018 (ztd). (Entered: 10/24/2018)
2018-10-25MINUTE ORDER: The Court has received Defendant's 18 Consent Motion for Extension of Time for Defendant to File Its Motion for Summary Judgment. This is Defendant's second request for an extension of the summary judgment filing deadline. The Court granted the first request and adopted the parties' "generous" proposed schedule. Min. Order of Sept. 24, 2018. Defendant's justification for both requests includes that counsel was preparing for and then was in trial. With Plaintiff's consent, the Court shall GRANT Defendant's 18 Consent Motion, for good cause shown. The deadline for Defendant's Motion for Summary Judgment shall be extended from October 29, 2018, until OCTOBER 31, 2018 . Other briefing deadlines in the 17 Amended Scheduling and Procedures Order shall remain unchanged. Signed by Judge Colleen Kollar-Kotelly on October 25, 2018. (lcckk1) (Entered: 10/25/2018)
2018-10-25Set/Reset Deadlines: Defendant's Summary Judgment Motion due by 10/31/2018. (dot) (Entered: 10/26/2018)
2018-10-3019MOTION for Summary Judgment , Local Rule 7(h) Statement, and Supporting Memorandum by U.S. CUSTOMS AND BORDER PROTECTION (Attachments: # 1 Declaration of Shari Suzuki, # 2 Table of Authorities, # 3 Proposed Order)(Simon, Jeremy) (Entered: 10/30/2018)
2018-11-2520Cross MOTION for Partial Summary Judgment , In Opposition to Defendant's Motion for Summary Judgment, and Regarding Limited Discovery of Defendant by PAUL F. KILMER (Attachments: # 1 Memorandum in Support MEMORANDUM OF POINTS AND AUTHORITIES, # 2 Statement of Facts MATERIAL FACT NOT IN GENUINE DISPUTE, # 3 Declaration Kilmer Decl w Exhs 2-8, # 4 Exhibit Kilmer Decl Exh 1 Part 1, # 5 Exhibit Kilmer Decl Exh 1 Part 2, # 6 Exhibit Kilmer Decl Exh 1 Part 3, # 7 Exhibit Kilmer Decl Exh 1 Part 4, # 8 Exhibit Kilmer Decl Exh 1 Part 5, # 9 Exhibit Kilmer Decl Exh 1 Part 6, # 10 Exhibit Kilmer Decl Exh 1 Part 7, # 11 Exhibit Kilmer Decl Exh 1 Part 8, # 12 Text of Proposed Order Proposed Order)(Kilmer, Paul) (Entered: 11/25/2018)
2018-11-2521Memorandum in opposition to re 19 MOTION for Summary Judgment , Local Rule 7(h) Statement, and Supporting Memorandum filed by PAUL F. KILMER.(See docket entry no. 20 to view.) (ztd) (Entered: 11/26/2018)
2018-12-2122Consent MOTION for Extension of Time to File Combined Reply and Opposition in Connection with Cross-Motions for Summary Judgment by U.S. CUSTOMS AND BORDER PROTECTION (Attachments: # 1 Proposed Order)(Simon, Jeremy) (Entered: 12/21/2018)
2018-12-26MINUTE ORDER: The Court has received Defendant's 22 Consent Motion for Extension of Time for Defendant to File Its Reply and Opposition in Connection with Parties' Cross-Motions for Summary Judgment. This is Defendant's first request for an extension of the deadline for this filing, but third request in connection with the summary judgment briefing schedule. The Court granted the first two such requests. However, in light of defense counsel's "series of unexpected personal matters, including medical matters involving family members," the potential need for a supplemental declaration, and the other scheduling issues that counsel raises, and with Plaintiff's consent, the Court GRANTS Defendant's 22 Consent Motion, for good cause shown. Defendant shall file its Combined Opposition to Plaintiff's Cross-Motion for Partial Summary Judgment and Regarding Limited Discovery of Defendant, and Reply in Support of Defendant's Motion for Summary Judgment, by no later than JANUARY 18, 2019. Plaintiff shall file a Reply in support of his Cross-Motion for Partial Summary Judgment and Regarding Limited Discovery of Defendant by no later than FEBRUARY 5, 2019. The Court expects that Defendant will require no further extensions of the summary judgment briefing schedule. Signed by Judge Colleen Kollar-Kotelly on 12/26/2018. (DM) (Entered: 12/26/2018)
2018-12-26Set/Reset Deadlines: Defendant shall file its Combined Opposition to Plaintiff's Cross-Motion for Partial Summary Judgment and Regarding Limited Discovery of Defendant, and Reply in Support of Defendant's Motion for Summary Judgment, by no later than 1/18/201; Plaintiff shall file a Reply in support of his Cross-Motion for Partial Summary Judgment and Regarding Limited Discovery of Defendant by no later than 2/5/2019. (kt) (Entered: 12/26/2018)
2019-01-1623Unopposed MOTION to Stay , Unopposed MOTION for Extension of Time to All Deadlines by U.S. CUSTOMS AND BORDER PROTECTION (Pfaffenroth, Peter) (Entered: 01/16/2019)
2019-01-18MINUTE ORDER: The Court has received Defendant's 23 Unopposed Motion to Stay Proceedings and for Extension of Time in Light of Lapse in Appropriations. Defendant's Combined Opposition to Plaintiff's Cross-Motion for Partial Summary Judgment and Regarding Limited Discovery of Defendant, and Reply in Support of Defendant's Motion for Summary Judgment, are currently due by January 18, 2019. Defendant acknowledges the tardiness of its extension request pursuant to the Court's 2 standing order, but identifies certain exigencies associated with the lapse in appropriations. Plaintiff has indicated that he does not oppose the relief sought in the motion. In an exercise of the Court's discretion, the Court shall GRANT Defendant's 23 Unopposed Motion. Except as provided below, the Court shall STAY this case, including the aforementioned deadline for Defendant's forthcoming briefing. The parties shall file a notice within five business days of the restoration of the U.S. Department of Justice's funding and the resumption of its operations. Defendant has not indicated whether any agency personnel responsible for assisting with the preparation of Defendant's forthcoming briefing have been deemed essential. To the extent that those agency personnel have been deemed essential, they should continue to assist in such preparation so that, upon restoration of funding, the briefing may be submitted more promptly. Signed by Judge Colleen Kollar-Kotelly on January 18, 2019. (lcckk1) (Entered: 01/18/2019)
2019-02-0124Joint STATUS REPORT by U.S. CUSTOMS AND BORDER PROTECTION. (Simon, Jeremy) (Entered: 02/01/2019)
2019-02-01MINUTE ORDER: The Court has received the parties' 24 Joint Status Report. The parties identify the restoration of government funding. Accordingly, the Court hereby LIFTS the stay in this matter. Defendant shall file its Combined Opposition to Plaintiff's Cross-Motion for Partial Summary Judgment and Regarding Limited Discovery of Defendant, and Reply in Support of Defendant's Motion for Summary Judgment, by no later than FEBRUARY 15, 2019 . Plaintiff shall file a Reply in support of his Cross-Motion for Partial Summary Judgment and Regarding Limited Discovery of Defendant by no later than FEBRUARY 26, 2019 . Because this is the fourth extension of Defendant's deadlines for summary judgment briefing, the Court expects that Defendant will require no further extensions of the summary judgment briefing schedule. Signed by Judge Colleen Kollar-Kotelly on February 1, 2019. (lcckk1) (Entered: 02/01/2019)
2019-02-01Set/Reset Deadlines: Defendant's Response to Cross Motion due by 2/15/2019. Plaintiff's Reply to Cross Motion due by 2/26/2019. Defendant's Reply to Motion for Summary Judgment due by 2/15/2019. (dot) (Entered: 02/04/2019)
2019-02-1525Memorandum in opposition to re 20 Cross MOTION for Partial Summary Judgment , In Opposition to Defendant's Motion for Summary Judgment, and Regarding Limited Discovery of Defendant filed by U.S. CUSTOMS AND BORDER PROTECTION. (Attachments: # 1 Response to Plaintiff's Local Rule 7(h) Statement, # 2 Proposed Order, # 3 Supplemental Declaration of Shari Suzuki, # 4 Table of Authorities)(Simon, Jeremy) (Entered: 02/15/2019)
2019-02-1526REPLY to opposition to motion re 19 MOTION for Summary Judgment , Local Rule 7(h) Statement, and Supporting Memorandum (duplicate of Docket Entry No. 25) filed by U.S. CUSTOMS AND BORDER PROTECTION. (Attachments: # 1 Response to Plaintiff's Local Rule 7(h) Statement, # 2 Proposed Order, # 3 Supplemental Declaration of Shari Suzuki, # 4 Table of Authorities)(Simon, Jeremy) (Entered: 02/15/2019)
2019-02-2627REPLY to opposition to motion re 20 Cross MOTION for Partial Summary Judgment , In Opposition to Defendant's Motion for Summary Judgment, and Regarding Limited Discovery of Defendant , 19 MOTION for Summary Judgment , Local Rule 7(h) Statement, and Supporting Memorandum filed by PAUL F. KILMER. (Attachments: # 1 Exhibit Exhibit A to Reply, # 2 Supplement Table of Authorities, # 3 Statement of Facts Reply Statement of Material Facts)(Kilmer, Paul) (Entered: 02/26/2019)
2020-07-2528MOTION for Order REQUEST FOR RULING ON CROSS-MOTIONS FOR SUMMARY JUDGMENT from Plaintiff. (Kilmer, Paul) Modified event title on 7/28/2020 (znmw). (Entered: 07/25/2020)
2021-04-0529MOTION FOR ORDER by PAUL F. KILMER. (Kilmer, Paul) Modified event on 4/6/2021 (ztd). (Entered: 04/05/2021)
2021-05-1430ORDER. Signed by Judge Colleen Kollar-Kotelly on May 14, 2021. (lcckk1) (Entered: 05/14/2021)
2021-05-1431MEMORANDUM OPINION regarding 30 ORDER. Signed by Judge Colleen Kollar-Kotelly on May 14, 2021. (lcckk1) (Entered: 05/14/2021)
2021-05-14Set/Reset Deadlines: Defendant's Revised Vaughn Index due by 6/14/2021. (dot) (Entered: 05/14/2021)
2021-05-2632Consent MOTION for Extension of Time to File Vaughn Index by U.S. CUSTOMS AND BORDER PROTECTION. (Attachments: # 1 Proposed Order)(Simon, Jeremy) (Entered: 05/26/2021)
2021-05-2633ORDER granting 32 Motion for Extension of Time. Signed by Judge Colleen Kollar-Kotelly on May 26, 2021. (lcckk1) (Entered: 05/26/2021)
2021-05-26Set/Reset Deadlines: Vaughn Index due by 7/15/2021. (dot) (Entered: 05/28/2021)
2021-06-0234MOTION Clarification of Courts Order of May 14, 2021 by PAUL F. KILMER. (Attachments: # 1 Text of Proposed Order Proposed Order for Clarification)(Kilmer, Paul) Modified event on 6/3/2021 (ztd). (Entered: 06/02/2021)
2021-06-03MINUTE ORDER: The Court has received and reviewed Plaintiff's 34 Motion for Clarification. By or before June 7, 2021, Defendant may file a brief response, no longer than two pages, confirming on the record its position regarding the 34 Motion. Signed by Judge Colleen Kollar-Kotelly on June 3, 2021. (lcckk1) (Entered: 06/03/2021)
2021-06-03Set/Reset Deadlines: Defendant's Response to 34 due by 6/7/2021. (dot) (Entered: 06/03/2021)
2021-06-0735RESPONSE re 34 MOTION to Clarify filed by U.S. CUSTOMS AND BORDER PROTECTION. (Simon, Jeremy) (Entered: 06/07/2021)
2021-06-09MINUTE ORDER: The Court has received and reviewed Plaintiff's 34 Motion for Clarification and Defendant's corresponding 35 Response. The Court hereby ORDERS that Defendant may submit its supplemental declaration addressing its searches for documents related to Mr. Joseph DeCunha, as it relates to the adequacy of Defendant's FOIA search, along with its renewed summary judgment briefing. Defendant need not submit such declaration along with the submission of its revised Vaughn Index on July 15, 2021. Finally, as jointly requested by the parties, the Court ORDERS the parties to confer on a proposed briefing schedule and submit their respective proposals for a briefing schedule by or before July 23, 2021, in the form of a joint status report. Signed by Judge Colleen Kollar-Kotelly on June 9, 2021. (lcckk1) (Entered: 06/09/2021)
2021-06-09Set/Reset Deadlines: Joint Status Report due by 7/23/2021. Defendant's revised Vaughn Index due by 7/15/2021. (dot) (Entered: 06/10/2021)
2021-07-1536NOTICE of Filing of Vaughn Index by U.S. CUSTOMS AND BORDER PROTECTION (Attachments: # 1 Vaughn Index (part 1), # 2 Vaughn Index (part 2))(Simon, Jeremy) (Entered: 07/15/2021)
2021-07-2237Joint STATUS REPORT by U.S. CUSTOMS AND BORDER PROTECTION. (Simon, Jeremy) (Entered: 07/22/2021)
2021-07-23MINUTE ORDER: The Court hereby ORDERS that the parties follow the briefing schedule set forward in their 37 Joint Status Report: (1) Defendant's Renewed Motion for Summary Judgment is due by or before September 10, 2021; (2) Plaintiff's Cross-Motion and Opposition, And Any Motion for Leave to Conduct Limited Discovery is due by or before October 5, 2021; (3) Defendant's Combined Opposition to Plaintiff's Cross-Motion And Any Motion for Leave to Conduct Limited Discovery and Reply in Support of Defendant's Motion is due by or before October 26, 2021; and, (4) Plaintiff's Reply in Support of Cross-Motion and Any Motion for Leave to Conduct Limited Discovery is due by or before November 23, 2021. Signed by Judge Colleen Kollar-Kotelly on July 23, 2021. (lcckk1) (Entered: 07/23/2021)
2021-07-23Set/Reset Deadlines: Plaintiff's Cross Motion for Summary Judgment and Any Motion for Leave to Conduct Limited Discovery due by 10/5/2021. Response to Cross Motion and Any Motion for Leave to Conduct Limited Discovery due by 10/26/2021. Reply to Cross Motion and Any Motion for Leave to Conduct Limited Discovery due by 11/23/2021. Defendant's Renewed Summary Judgment Motion due by 9/10/2021. Response to Renewed Motion for Summary Judgment due by 10/5/2021. Reply to Renewed Motion for Summary Judgment due by 10/26/2021. (dot) (Entered: 07/26/2021)
2021-09-1038MOTION for Summary Judgment (Defendant's Renewed Motion for Summary Judgment, Local Rule 7(h) Statement and Supporting Memorandum) by U.S. CUSTOMS AND BORDER PROTECTION. (Attachments: # 1 Proposed Order, # 2 Second Supplemental Declaration of Shari Suzuki (Redacted))(Simon, Jeremy) (Entered: 09/10/2021)
2021-09-1039MOTION for Leave to Submit Declaration Under Seal and Ex Parte, In Camera in Support of Renewed Motion for Summary Judgment re 38 MOTION for Summary Judgment (Defendant's Renewed Motion for Summary Judgment, Local Rule 7(h) Statement and Supporting Memorandum) by U.S. CUSTOMS AND BORDER PROTECTION. (Attachments: # 1 Proposed Order)(Simon, Jeremy) Modified event on 9/13/2021 (znmw). (Entered: 09/10/2021)
2021-10-0340RESPONSE re 39 MOTION for Leave to File, 38 MOTION for Summary Judgment (Defendant's Renewed Motion for Summary Judgment, Local Rule 7(h) Statement and Supporting Memorandum) Oppostion to Defendant's Motion and Motion for In Camera Ex Parte Inspection and Limited Discovery filed by PAUL F. KILMER. (Attachments: # 1 Statement of Facts Plaitiff's Statement Facts in Genuine Dispute and Table of Contents, # 2 Memorandum in Support Plaintiffs Memorandum Of Points And Authorities In Opposition To Defendants Renewed Motion For Summary Judgment, Response To Defendants Motion For Leave To Submit Declaration Under Seal And Ex Parte, In Camera, Motion For Ex Parte, In Camera Review Of Sample Records, And Motion For Limited Discovery, # 3 Supplement Plaintiff's Table of Authorities, # 4 Affidavit Kilmer Supplemental Declaration, # 5 Exhibit Exhibt 9 to Kilmer Suppl Decl, # 6 Exhibit Exhibt 10 to Kilmer Suppl Decl, # 7 Exhibit Exhibt 11 to Kilmer Suppl Decl, # 8 Exhibit Exhibt 12 to Kilmer Suppl Decl, # 9 Exhibit Exhibt 13 to Kilmer Suppl Decl, # 10 Exhibit Exhibt 14 to Kilmer Suppl Decl, # 11 Text of Proposed Order Plaintiff's Draft Order)(Kilmer, Paul) (Entered: 10/03/2021)
2021-10-0341MOTION for In Camera Review, MOTION for Discovery by PAUL F. KILMER. (See Docket Entry 40 to view document). (znmw) (Entered: 10/04/2021)
2021-10-2042Consent MOTION for Extension of Time to File Opposition and Reply by U.S. CUSTOMS AND BORDER PROTECTION. (Attachments: # 1 Proposed Order)(Simon, Jeremy) (Entered: 10/20/2021)
2021-10-2043ORDER granting 42 Motion for Extension of Time. Signed by Judge Colleen Kollar-Kotelly on October 20, 2021. (lcckk1) (Entered: 10/20/2021)
2021-11-0944REPLY to opposition to motion re 39 MOTION for Leave to File, 38 MOTION for Summary Judgment (Defendant's Renewed Motion for Summary Judgment, Local Rule 7(h) Statement and Supporting Memorandum) filed by U.S. CUSTOMS AND BORDER PROTECTION. (Attachments: # 1 Proposed Order, # 2 Table of Authorities)(Simon, Jeremy) (Entered: 11/09/2021)
2021-11-0945Memorandum in opposition to re 41 MOTION for In Camera Review MOTION for Discovery (duplicate of docket entry number 44) filed by U.S. CUSTOMS AND BORDER PROTECTION. (Attachments: # 1 Proposed Order, # 2 Table of Authorities)(Simon, Jeremy) (Entered: 11/09/2021)
2021-11-2746REPLY to opposition to motion re 38 MOTION for Summary Judgment (Defendant's Renewed Motion for Summary Judgment, Local Rule 7(h) Statement and Supporting Memorandum) , 41 MOTION for In Camera Review MOTION for Discovery filed by PAUL F. KILMER. (Attachments: # 1 Related Case Form Table of Contents Pls Reply, # 2 Related Case Form Pls Reply Table of Authorities)(Kilmer, Paul) (Entered: 11/27/2021)
2022-12-2047NOTICE OF SUBSTITUTION OF COUNSEL by John Bardo on behalf of U.S. CUSTOMS AND BORDER PROTECTION Substituting for attorney Jeremy Simon (Bardo, John) (Entered: 12/20/2022)
2023-02-2548MOTION for Order Request for Ruling from Plaintiff, Paul Kilmer. (Kilmer, Paul) Modified on 3/1/2023 to correct event(zjm). (Entered: 02/25/2023)
2023-11-01MINUTE ORDER: The Court is in receipt of Defendant's 39 Motion for Leave to Submit Declaration Under Seal and Ex Parte, In Camera in Support of Renewed Motion for Summary Judgment. As the parties consent, and because the declaration contains the specifics of a Glomar response, Defendant's 39 Motion is GRANTED . Defendant shall submit the unredacted version of the redacted declaration filed with Defendant's 38 Renewed Motion for Summary Judgment under seal, ex parte and in camera on or before November 8, 2023 . Signed by Judge Colleen Kollar-Kotelly on November 1, 2023. (lcckk1) (Entered: 11/01/2023)
2023-11-0849NOTICE of Compliance With the Court's November 1, 2023 minute order by U.S. CUSTOMS AND BORDER PROTECTION (Bardo, John) (Entered: 11/08/2023)
2023-11-1550ORDER granting Defendant's 38 Renewed Motion for Summary Judgment. Signed by Judge Colleen Kollar-Kotelly on November 15, 2023. (lcckk1) (Entered: 11/15/2023)
2023-11-1551MEMORANDUM AND OPINION re 50 Order. Signed by Judge Colleen Kollar-Kotelly on November 15, 2023. (lcckk1) (Entered: 11/15/2023)
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