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Case TitleFamilies for Freedom et al v. United States Customs and Border Protection et al
DistrictSouthern District of New York
CityFoley Square
Case Number1:2010cv02705
Date Filed2010-03-26
Date Closed2012-08-13
JudgeJudge Shira A. Scheindlin
PlaintiffFamilies for Freedom
PlaintiffJane Doe
PlaintiffMary Doe
PlaintiffJohn Doe
DefendantUnited States Customs and Border Protection
DefendantUnited States Department of Homeland Security
DefendantUnited States Immigration and Customs Enforcement
AppealSecond Circuit 11-3344
Documents
Docket
Complaint
Opinion/Order [35]
FOIA Project Annotation: A federal court in New York has ruled that Customs and Border Protection may withhold some information about the agency's alleged practice of questioning inter-city bus and train travelers about their immigration status under Exemption 7(E) (investigative methods and techniques) but found that other withheld information did not qualify under the law enforcement exemption. Much of that information had also been withheld under the circumvention prong of Exemption 2, but that claim collapsed after the Supreme Court ruled in Milner v. Dept of Navy that the circumvention prong went beyond Exemption 2's plain language. Families for Freedom, the plaintiff, was particularly interested in information about the Rochester Station, which was part of the Buffalo Sector, and asked for arrest statistics from 2003-2009. The agency withheld six Buffalo Sector Daily Reports that contained apprehension statistics for 2004-2009 and the comments pages of 584 Buffalo Sector Daily Reports that provided detailed arrest information. Judge Shira Scheindlin first rejected the withholding claims for the statistics in the six Buffalo Sector Daily Reports, noting that "such statistics are neither 'techniques or procedures' nor 'guidelines,' such that they could be properly withheld under Exemption 7(E)." She then observed that "plaintiffs seek information only about the Buffalo Sector as a whole and Rochester Station in particular. This information will aid plaintiffs in calculating the percentages that they argue are important to enable the public to understand the role and significance of transportation-based arrests, but it will not reveal the comparative strengths and weaknesses of the various stations within the Buffalo Sector." As to the 584 withheld comments pages, Scheindlin told the agency that "they should have�"and are now ordered to�"analyze whether the pages in question contain non-exempt information that is segregable from exempt information." She added that "defendants are required to release the names of the authors and recipients of the Reports, to the extent that they are agency heads or high-level subordinates. Such information 'does not generally fall within Exemption 6' [invasion of privacy] and defendants have provided no evidence to suggest any particular privacy threat posed by the revelation of these federal employees' names." She also found that a charging form constituted a law enforcement record, but the charging codes contained in the forms would not disclosure techniques or procedures. Finally, she told the agency it must disclose the names of the authors and recipients of two memorandums because "neither document contains any personal or identifying information apart from the names of the authors, recipients, and persons identified. . . Therefore, the documents cannot be withheld under Exemption 6 because they do not constitute 'similar files.'"
Issues: Exemption 7(E) - Investigative methods or techniques
Opinion/Order [56]
FOIA Project Annotation: In a decision reflecting her frustration over prolonged litigation against Customs and Border Protection over its program for searching for illegal immigrants on trains and buses in the Buffalo and Rochester areas, Judge Shira Scheindlin has reconsidered various documents the agency claimed were not responsive to the request submitted by Families for Freedom. Scheindlin indicated that "this litigation has dragged on for far too long, and obtaining information from the defendants hasâ€"to put it charitablyâ€"not been easy." But she pointed out that the agency had not really had an opportunity to make its case concerning the responsiveness of various records. After reviewing documents in camera, she agreed with the agency that some were not responsive to the request, while others were. Having determined that, she chastised the agency's behavior, noting that "it appears that defendants have produced as few documents as they could possibly produce to plaintiffs without serious consequences. Even more troubling, they have admitted to the existence of as few documents as they could possibly get away with. Defendants' approach frustrates plaintiffs, frustrates the Court, and frustrates the purposes of the Freedom of Information Act."
Issues: Litigation - In camera review
Opinion/Order [69]
FOIA Project Annotation: A federal court in New York has largely ruled in favor of Customs and Border Protection on a variety of documents pertaining to the agency's use of trains in New York State to locate illegal immigrants. The agency had withheld identifying information from emails under Exemption 6 (invasion of privacy), a memo under Exemption 5 (privileges), and portions of other documents under Exemption 7(E) (investigatory methods and techniques). Families for Freedom argued that minutes of meetings between CBP and Amtrak officials did not relate to law enforcement techniques. But Judge Shira Scheindlin noted that "the Amtrak meeting notes were created for that purpose�"they constitute the memorialization of a meeting in which Border Patrol officials met with Amtrak in order to discuss how their law enforcement activities impacted the company's transit operations and how they might adjust those activities." While Scheindlin found that mundane mentions of agency employees names were not protected by Exemption 6, identifying information in other records compiling arrest statistics were protected by Exemption 7(C) (invasion of privacy concerning law enforcement records). Families for Freedom argued that a legal memo had not been prepared in anticipation of litigation. But Scheindlin pointed out that "given Border Patrol's extensive program of transportation checks and arrests, its anticipation of litigation was reasonable. The memorandum is classic attorney-client communication and may well be protected attorney work-product. It is exempt from disclosure."
Issues: Exemption 7(E) - Investigative methods or techniques, Exemption 6 - Invasion of privacy
Opinion/Order [70]
FOIA Project Annotation: In a related decision, a federal court in New York has ruled that Families for Freedom is entitled to discovery in its FOIA suit against Customs and Border Protection for records pertaining to the agency's search for illegal immigrants on buses in New York State. Judge Shira Scheindlin acknowledged that discovery was normally frowned upon in FOIA cases and indicated that she had previously given the agency a presumption of good faith in its searches. But noting that "the Court's patience has worn out," she explained that "because the agency has not satisfied its burden, a showing of bad faith is not necessary [in order to be granted discovery]. [The agency] now acknowledges that its previous searches were insufficient�"for example, they did not perform a proper search of [the Border Patrol Chief of Staff's] email archives�"and that its earlier declarations misrepresented the scope of those searches. In [a prior ruling], I found that the declarations were sufficient because I accorded them the presumption of good faith that is appropriate in such contexts. But the accuracy of those declarations has been undercut by evidence in the record, including the agency's latest declaration." Further, she noted: "there is tangible evidence in the record that establishes that the agency has not performed an adequate search. Plaintiffs' second FOIA request was made on April 2, 2010. That was nearly twenty-one months ago. The agency has not completed what it considers to be an adequate search. The agency's untimely response is inexcusable as a matter of law."
Issues: Litigation - Discovery
User-contributed Documents
 
Docket Events (Hide)
Date FiledDoc #Docket Text

2010-03-261COMPLAINT against United States Customs and Border Protection, United States Department of Homeland Security. (Filing Fee $ 350.00, Receipt Number 898650)Document filed by Families for Freedom, Jane Doe.(rdz) (Entered: 03/30/2010)
2010-03-26SUMMONS ISSUED as to United States Customs and Border Protection, United States Department of Homeland Security. (rdz) (Entered: 03/30/2010)
2010-03-26Magistrate Judge Kevin Nathaniel Fox is so designated. (rdz) (Entered: 03/30/2010)
2010-03-26Case Designated ECF. (rdz) (Entered: 03/30/2010)
2010-03-262RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate Parent. Document filed by Families for Freedom, Jane Doe.(rdz) (Entered: 03/30/2010)
2010-04-093AFFIDAVIT OF SERVICE. United States Customs and Border Protection served on 3/26/2010, answer due 5/25/2010; United States Department of Homeland Security served on 3/26/2010, answer due 5/25/2010. Service was made by Mail. Document filed by Families for Freedom; Jane Doe. (Morawetz, Nancy) (Entered: 04/09/2010)
2010-04-234NOTICE OF APPEARANCE by David Vincent Bober on behalf of United States Customs and Border Protection, United States Department of Homeland Security (Bober, David) (Entered: 04/23/2010)
2010-04-285ORDER United States Customs and Border Protection answer to complaint due 5/13/2010; United States Department of Homeland Security answer to complaint due 5/13/2010. (Signed by Judge Shira A. Scheindlin on 4/28/10) (cd) (Entered: 04/28/2010)
2010-05-076ORDER FOR INITIAL PRETRIAL CONFERENCE: Initial Conference set for 5/20/2010 at 04:30 PM in Courtroom 15C, 500 Pearl Street, New York, NY 10007 before Judge Shira A. Scheindlin. SO ORDERED (Signed by Judge Shira A. Scheindlin on 5/6/2010) (jmi) (Entered: 05/07/2010)
2010-05-137ANSWER to Complaint. Document filed by United States Customs and Border Protection, United States Department of Homeland Security.(Bober, David) (Entered: 05/13/2010)
2010-05-218SCHEDULING ORDER: The next conference in this case is scheduled for May 20, 2010, at 4:30 p.m. Plaintiffs are represented by Nancy Morawetz, Esq. Defendants are represented by Assistant United States Attorney David Bober. plaintiffs will file an amended complaint by May 21, 2010, and an answer to the amended complaint shall be filed by June 1, 2010. A Vaughn index shall be supplied by July 7, 2010. Additional relief as set forth in this Order. (Signed by Judge Shira A. Scheindlin on 5/20/10) (pl) (Entered: 05/21/2010)
2010-05-21Set/Reset Deadlines: United States Customs and Border Protection answer due 6/1/2010; United States Department of Homeland Security answer due 6/1/2010. (pl) (Entered: 05/21/2010)
2010-05-219AMENDED COMPLAINT amending 1 Complaint against United States Immigration and Customs Enforcement, United States Customs and Border Protection, United States Department of Homeland Security.Document filed by Families for Freedom, Mary Doe, John Doe, Jane Doe. Related document: 1 Complaint filed by Jane Doe, Families for Freedom.(rdz) (Entered: 05/25/2010)
2010-05-2810CERTIFICATE OF SERVICE. United States Immigration and Customs Enforcement served on 5/21/2010, answer due 7/20/2010; United States Customs and Border Protection served on 5/21/2010, answer due 7/20/2010; United States Department of Homeland Security served on 5/21/2010, answer due 7/20/2010. Service was made by Mail. Document filed by Families for Freedom; Mary Doe; John Doe; Jane Doe. (Morawetz, Nancy) (Entered: 05/28/2010)
2010-06-0111ANSWER to Amended Complaint. Document filed by United States Immigration and Customs Enforcement, United States Customs and Border Protection, United States Department of Homeland Security. Related document: 9 Amended Complaint, filed by Mary Doe, John Doe, Jane Doe, Families for Freedom.(Bober, David) (Entered: 06/01/2010)
2010-10-0412FILING ERROR - ELECTRONIC FILING FOR NON-ECF DOCUMENT - MOTION for Discovery. Document filed by Families for Freedom, Jane Doe, John Doe, Mary Doe. Return Date set for 11/12/2010 at 04:30 PM. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Exhibit G, # 8 Exhibit H, # 9 Exhibit I, # 10 Exhibit J, # 11 Exhibit K)(Morawetz, Nancy) Modified on 10/6/2010 (db). (Entered: 10/04/2010)
2010-10-04***NOTE TO ATTORNEY THAT THE ATTEMPTED FILING OF Document No. 12 HAS BEEN REJECTED. Note to Attorney Nancy Babette Morawetz : THE CLERK'S OFFICE DOES NOT ACCEPT LETTERS FOR FILING, either through ECF or otherwise, except where the judge has ordered that a particular letter be docketed. Letters may be sent directly to a judge. (db) (Entered: 10/06/2010)
2010-10-1513ORDER. 1. Defendants' response to plaintiffs' October 4, 2010, letter shall be submitted to the Court by October 22, 2010; and 2. Plaintiffs' reply shall be submitted to the Court by October 29, 2010. (Signed by Judge Shira A. Scheindlin on 10/15/10) (djc) (Entered: 10/18/2010)
2010-10-15Set Deadlines/Hearings: Replies due by 10/29/2010. Responses due by 10/4/2010 (djc) (Entered: 10/18/2010)
2010-10-15Set Deadlines/Hearings: Replies due by 10/29/2010. Responses due by 10/22/2010 (djc) (Entered: 10/20/2010)
2010-11-19***DELETED DOCUMENT. Deleted document number 14 LAW STUDENT INTERN APPEARANCE FORM. Document deleted pursuant to Order dated 11/23/10, document #18. (djc) (Entered: 11/30/2010)
2010-11-19***DELETED DOCUMENT. Deleted document number 15 LAW STUDENT INTERN APPEARANCE FORM. Document deleted pursuant to Order dated 11/23/10, document #18. (djc) (Entered: 11/30/2010)
2010-11-19***DELETED DOCUMENT. Deleted document number 16 LAW STUDENT INTERN APPEARANCE FORM. Document deleted pursuant to Order dated 11/23/10, document #18. (djc) (Entered: 11/30/2010)
2010-11-2217ENDORSED LETTER addressed to Judge Shira A. Scheindlin from David Bober dated 11/19/10 re: In accordance withe the Court's order at the conference held on November 12, 2010, counsel writes to advise the Court that the Government intends to submit supplemental declarations regarding the searches that were done in response to plaintiffs' FOIA requests. Counsel requests that the time for the Government to submit its supplemental declarations be extended to December 1. ENDORSEMENT: The Government's request for an extension of time to submit supplemental declaration regarding its search for documents responsible to plaintiffs' FOIA requests until Dec. 1, 2010 is hereby granted. (Signed by Judge Shira A. Scheindlin on 11/19/10) (djc) (Entered: 11/22/2010)
2010-11-2318ORDER. The Clerk of the Court is hereby directed to delete docket entries number 14, 15 and 16 from the ECF Docket Sheet for the above-captioned case, as the Law Student Intern Appearance Forms were incorrectly docketed in the above-captioned case. (Signed by Judge Shira A. Scheindlin on 11/22/10) (djc) (Entered: 11/23/2010)
2010-11-2319ORDER. Pursuant to the Local Rules of the Southern District of New York; I authorize Ms. Yihong (Julie) Mao, Mr. Benjamin Locke and Ms. Ada V. Afton, students of New York University School of Law, to appear in court or other proceedings on behalf of Plaintiffs in the above-named matter. These students will be supervised by Nancy Morawetz, Esq., of Washington Square Legal Services, Inc. (Signed by Judge Shira A. Scheindlin on 11/10/10) (djc) (Entered: 11/23/2010)
2010-12-0120TRANSCRIPT of proceedings held on 11/12/10, 4:45 p.m. before Judge Shira A. Scheindlin. (rjm) (Entered: 12/01/2010)
2010-12-0121TRANSCRIPT of proceedings held on 11/12/2010 before Judge Shira A. Scheindlin. (ja) (Entered: 12/02/2010)
2010-12-0222ENDORSED LETTER addressed to Judge Shira A. Scheindlin from David Bober dated 12/1/10 re: Counsel for the Government writes to request a two-week adjournment of the next status conference in this matter, which is currently scheduled for Tuesday, December 7, 2010, at 4:00. ENDORSEMENT: The Government's request for an adjournment is hereby granted-the conference will be held on Thursday Dec 23rd at 4:30 p.m. SO ORDERED. ( Status Conference set for 12/23/2010 at 04:30 PM before Judge Shira A. Scheindlin.) (Signed by Judge Shira A. Scheindlin on 12/2/10) (mro) (Entered: 12/02/2010)
2010-12-0623ENDORSED LETTER addressed to Judge Shira A. Scheindlin from Nancy Morawetz, Ada Anon, Benjamin Locke and Julie Mao dated 12/3/10 re: Request for an extension of the production of documents deadline until 12/16/10. ENDORSEMENT: Plaintiffs' request to extend the deadline of production of documents until December 16th, 2010 is hereby granted. SO ORDERED. (Signed by Judge Shira A. Scheindlin on 12/3/10) (db) (Entered: 12/06/2010)
2011-01-1924TRANSCRIPT of proceedings held on 1/4/2011 before Judge Shira A. Scheindlin. (ab) (Entered: 01/19/2011)
2011-01-2825MOTION for Summary Judgment. Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement. Responses due by 2/18/2011(Bober, David) (Entered: 01/28/2011)
2011-01-2826MEMORANDUM OF LAW in Support re: 25 MOTION for Summary Judgment.. Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement. (Bober, David) (Entered: 01/28/2011)
2011-01-2827DECLARATION of Ryan Law in Support re: 25 MOTION for Summary Judgment.. Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement. (Bober, David) (Entered: 01/28/2011)
2011-01-2828DECLARATION of Robert Lewandowski in Support re: 25 MOTION for Summary Judgment.. Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement. (Attachments: # 1 Exhibit A)(Bober, David) (Entered: 01/28/2011)
2011-02-0929ORDER: Because I conclude that CBP's declarations are sufficiently detailed to demonstrate that it has conducted a reasonable search (and will continue to do so pursuant to this Court's Order) - and because plaintiffs have not made a showing of bad faith to cast doubt on the agency's assertions - plaintiffs' request for discovery is denied (Signed by Judge Shira A. Scheindlin on 2/8/11) (db) (Entered: 02/09/2011)
2011-02-1630NOTICE OF CHANGE OF ADDRESS by Nancy Babette Morawetz on behalf of All Plaintiffs. New Address: Washington Square Legal Services, 245 Sullivan Street, 5th Fl, New York, NY, USA 10012, 212-998-6451. (Morawetz, Nancy) (Entered: 02/16/2011)
2011-02-1931FIRST MEMORANDUM OF LAW in Opposition re: 25 MOTION for Summary Judgment.. Document filed by Families for Freedom, Jane Doe, John Doe, Mary Doe. (Attachments: # 1 Exhibit Exhibit A, # 2 Exhibit Exhibit B, # 3 Exhibit Exhibit C, # 4 Exhibit Exhibit D, # 5 Exhibit Exhibit E, # 6 Exhibit Exhibit F, # 7 Exhibit Exhibit G, # 8 Exhibit Exhibit H)(Morawetz, Nancy) (Entered: 02/19/2011)
2011-03-0432REPLY MEMORANDUM OF LAW in Support re: 25 MOTION for Summary Judgment.. Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement. (Bober, David) (Entered: 03/04/2011)
2011-03-1933TRANSCRIPT of proceedings held on 2/01/2011 before Judge Shira A. Scheindlin. (ama) (Entered: 03/28/2011)
2011-03-29***DELETED DOCUMENT. Deleted document number 34 STIPULATION AND ORDER. The document was incorrectly filed in this case. (Pursuant to chambers' instructions - This Stipulation and Order does not belong in this action) (ae) (Entered: 06/22/2011)
2011-06-1635OPINION AND ORDER #100432 granting in part and denying in part re: 25 MOTION for Summary Judgment, filed by United States Immigration and Customs Enforcement, United States Customs and Border Protection, United States Department of Homeland Security. ( Conference set for 7/22/2011 at 05:00 PM before Judge Shira A. Scheindlin.) (Signed by Judge Shira A. Scheindlin on 6/16/11) (cd) Modified on 6/21/2011 (ajc). (Entered: 06/16/2011)
2011-07-0136STIPULATION AND ORDER: The deadline for the Government to produce the documents specified in the June 16 Order is stayed until August 15,2011. (Signed by Judge Shira A. Scheindlin on 7/1/11) (laq) (Entered: 07/01/2011)
2011-07-06***DELETED DOCUMENT. Deleted document number 37 Stipulation and Order. The document was incorrectly filed in this case. (Duplicate of 36, deleted pursuant to instructions from Chambers on 8/4/2011. (tro) Modified on 8/4/2011 (tro). (Entered: 08/04/2011)
2011-07-20Minute Entry for proceedings held before Judge Shira A. Scheindlin: Status Conference held on 7/20/2011. (lmb) (Entered: 08/05/2011)
2011-08-0438ENDORSED LETTER addressed to Judge Shira A Scheindlin from David Bober dated 8/3/11 re: Request to extend time for one week to 8/10/11 to file the Government's supplemental submissions. ENDORSEMENT: Request granted. On plaintiffs' consent the Government's time to file the required supplemental submission is hereby extended to 8/10/11. (Signed by Judge Shira A. Scheindlin on 8/4/11) (cd) (Entered: 08/04/2011)
2011-08-1039ORDER: IT IS HEREBY ORDERED that defendants file their motion for a stay by August 17, 2011; plaintiffs file their opposition to defendants' motion by August 25, 2011; and defendants file their reply, if any, by August 29, 2011. Defendants' moving brief and plaintiffs' opposition brief are not to exceed fifteen (15) pages. Defendants' reply brief is not to exceed ten (10) pages. An interim stay is hereby issued pending this Court's resolution of defendants' motion for a stay pending appeal. (Signed by Judge Shira A. Scheindlin on 8/10/2011) (jfe) (Entered: 08/10/2011)
2011-08-1240NOTICE OF APPEAL from 35 Memorandum & Opinion, Set Deadlines/Hearings. Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement. (tp) (Entered: 08/15/2011)
2011-08-12Appeal Remark as to 40 Notice of Appeal filed by United States Immigration and Customs Enforcement, United States Customs and Border Protection, United States Department of Homeland Security. NO FEE. USA. (tp) (Entered: 08/15/2011)
2011-08-15Transmission of Notice of Appeal and Certified Copy of Docket Sheet to US Court of Appeals re: 40 Notice of Appeal. (tp) (Entered: 08/15/2011)
2011-08-15Transmission of Notice of Appeal to the District Judge re: 40 Notice of Appeal. (tp) (Entered: 08/15/2011)
2011-08-1541ORDER: Accordingly, defendants must produce the listed documents by August 29, 2011. To the extent that defendants believe that certain of the documents must be withheld under a FOIA exemption, they are ordered to produce redacted copies of those documents with justification for their asserted exemptions by August 29, 2011. The responsive documents are set forth within this Order. If defendants assert FOIA exemptions over any of these documents, plaintiffs may challenge the assertion of those exemptions by September 12, 2011. Any reply must be submitted by September 26, 2011. (Signed by Judge Shira A. Scheindlin on 8/15/2011) (jfe) (Entered: 08/15/2011)
2011-08-1742MOTION to Stay. Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement.(Bober, David) (Entered: 08/17/2011)
2011-08-1743MEMORANDUM OF LAW in Support re: 42 MOTION to Stay.. Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement. (Bober, David) (Entered: 08/17/2011)
2011-08-2444Appeal Record Sent to USCA (Index). Notice that the Original index to the record on Appeal for 40 Notice of Appeal filed by United States Immigration and Customs Enforcement, United States Customs and Border Protection, United States Department of Homeland Security USCA Case Number 11-3344, 3 Copies of the index, Certified Clerk Certificate and Certified Docket Sheet were transmitted to the U.S. Court of Appeals. (nd) (Entered: 08/25/2011)
2011-08-2545MEMORANDUM OF LAW in Opposition re: 42 MOTION to Stay.. Document filed by Families for Freedom, Jane Doe, John Doe, Mary Doe. (Attachments: # 1 Affidavit Morawetz Decl in Opposition to Stay)(Morawetz, Nancy) (Entered: 08/25/2011)
2011-08-2946MOTION for Reconsideration re; 41 Order,, Motion for Partial Reconsideration . Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement.(Bober, David) (Entered: 08/29/2011)
2011-08-2947MEMORANDUM OF LAW in Support re: 46 MOTION for Reconsideration re; 41 Order,, Motion for Partial Reconsideration . MOTION for Reconsideration re; 41 Order,, Motion for Partial Reconsideration .. Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement. (Bober, David) (Entered: 08/29/2011)
2011-08-3148ORDER re: 42 Motion to Stay, filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement. Defendants having notified the Court that they are withdrawing their appeal of this Court's June 16, 2011 Order, I deny as moot defendants' pending motion for a stay pending appeal. The Clerk of the Court is directed to close the motion. (Signed by Judge Shira A. Scheindlin on 8/31/2011) (ab) (Entered: 08/31/2011)
2011-09-0249STIPULATION AND ORDER: It is hereby stipulated and agreed that: 1. The government is not required to produce unredacted versions of the ICE Documents. 2. The Government shall disclose to the plaintiffs: (1) the job title and rank of each sender and recipient of the ICE Documents; (2) copies of the job descriptions for the positions held by each sender and recipient of the ICE Documents; and (3) a chart or other explanation of the position of each sender and recipient of the ICE Documents within the full agency hierarchy, including which positions they supervise and by which positions they are supervised. 3. The Government shall disclose the information in paragraph 2 within 14 days of the date on which this Stipulation and Order is so-ordered by the Court; and 4. Plaintiffs waive any further claim for further disclosure of the redacted portions of the ICE Documents. (Signed by Judge Shira A. Scheindlin on 9/2/2011) (lmb) (Entered: 09/02/2011)
2011-09-0850TRANSCRIPT of Proceedings re: Conference held on 7/20/2011 before Judge Shira A. Scheindlin. Court Reporter/Transcriber: Carol Ganley, (212) 805-0300. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 10/3/2011. Redacted Transcript Deadline set for 10/13/2011. Release of Transcript Restriction set for 12/12/2011.(McGuirk, Kelly) (Entered: 09/08/2011)
2011-09-0851NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a Conference proceeding held on 7/20/11 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...(McGuirk, Kelly) (Entered: 09/08/2011)
2011-09-1452MANDATE of USCA (Certified Copy) as to 40 Notice of Appeal filed by United States Immigration and Customs Enforcement, United States Customs and Border Protection, United States Department of Homeland Security USCA Case Number 11-3344....that the appeal is hereby WITHDRAWN pursuant to Rule 42(b) of the Federal Rules of Appellate Procedure. Catherine O'Hagan Wolfe, Clerk USCA for the Second Circuit. Issued As Mandate: 09/13/2011. (nd) (Entered: 09/14/2011)
2011-09-1453FILING ERROR - DEFICIENT DOCKET ENTRY - MEMORANDUM OF LAW in Opposition re: 46 MOTION for Reconsideration re; 41 Order,, Motion for Partial Reconsideration . MOTION for Reconsideration re; 41 Order,, Motion for Partial Reconsideration .. Document filed by Families for Freedom, Jane Doe, John Doe, Mary Doe. (Attachments: # 1 Exhibit A (Jan. 28, 2011 Plaintiff Letter), # 2 Exhibit B (Feb 1, 2011 Def. Letter), # 3 Exhibit C (JUly 21, 2011, Plaintiff Letter), # 4 Exhibit D (July 25, 2011, Def. Letter), # 5 Exhibit E (Aug. 10, 2011 Def. Letter), # 6 Exhibit F (Aug. 11, 2011, Plaintiff Letter), # 7 Exhibit G (Morawetz Declaration))(Morawetz, Nancy) Modified on 9/15/2011 (db). (Entered: 09/14/2011)
2011-09-15***NOTE TO ATTORNEY TO RE-FILE DOCUMENT - DEFICIENT DOCKET ENTRY ERROR. Note to Attorney Nancy Babette Morawetz to RE-FILE Document 53 Memorandum of Law in Opposition to Motion. ERROR(S): No signature or s/. (db) (Entered: 09/15/2011)
2011-09-1554MEMORANDUM OF LAW in Opposition re: 46 MOTION for Reconsideration re; 41 Order,, Motion for Partial Reconsideration . MOTION for Reconsideration re; 41 Order,, Motion for Partial Reconsideration . corrected copy . Document filed by Families for Freedom, Jane Doe, John Doe, Mary Doe. (Morawetz, Nancy) (Entered: 09/15/2011)
2011-09-2155REPLY MEMORANDUM OF LAW in Support re: 46 MOTION for Reconsideration re; 41 Order,, Motion for Partial Reconsideration . MOTION for Reconsideration re; 41 Order,, Motion for Partial Reconsideration .. Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement. (Bober, David) (Entered: 09/21/2011)
2011-09-3056OPINION AND ORDER re:#100865 46 MOTION for Reconsideration re; 41 Order Motion for Partial Reconsideration . MOTION for Reconsideration re; 41 Order Motion for Partial Reconsideration filed by United States Immigration and Customs Enforcement, United States Customs and Border Protection, United States Department of Homeland Security. It appears that defendants have produced as few documents as they could possibly produce to plaintiffs without serious consequences. Even more troubling, they have admitted to the existence of as few documents as they could possibly get away with. Defendants approach frustrates plaintiffs, frustrates the Court, and frustrates the purpose of the Freedom of Information Act. Defendants are ordered to produce additional documents consistent with this Order by October 7, 2011. Any documents over which defendants assert exemptions must be produced in redacted form with the relevant FOIA exemptions indicated with specificity by that date. A conference is scheduled for 4 p.m. on Wednesday, October 5, 2011 to discuss the briefing schedules for the parties' summary judgment motions on the adequacy of the search and for the parties' summary judgment motions on FOIA exemptions over any and all documents that were not addressed in the last round of briefing on that issue. The Clerk of the Court is directed to close this motion [Docket No. 46]. (Signed by Judge Shira A. Scheindlin on 9/30/2011) (lmb) Modified on 10/11/2011 (jab). (Entered: 09/30/2011)
2011-09-30Set/Reset Hearings: Status Conference set for 10/5/2011 at 04:00 PM before Judge Shira A. Scheindlin. (lmb) (Entered: 09/30/2011)
2011-10-06Minute Entry for proceedings held before Judge Shira A. Scheindlin: Status Conference held on 10/6/2011. (rjm) (Entered: 11/08/2011)
2011-10-0757ORDER: Defendants are instructed to produce, by no later than October 14, 2011, the commentary pages of the Buffalo Sector Daily Reports, as previously directed in this Court's June 16, 2011 Opinion and Order. (Signed by Judge Shira A. Scheindlin on 10/6/2011) (cd) (Entered: 10/07/2011)
2011-10-2858SECOND MOTION for Summary Judgment. Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement.(Bober, David) (Entered: 10/28/2011)
2011-10-2859MEMORANDUM OF LAW in Support re: 58 SECOND MOTION for Summary Judgment.. Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement. (Bober, David) (Entered: 10/28/2011)
2011-10-2860DECLARATION of Robert Lewandowski in Support re: 58 SECOND MOTION for Summary Judgment.. Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement. (Bober, David) (Entered: 10/28/2011)
2011-10-2861FIRST MOTION for Summary Judgment. Document filed by Families for Freedom, Jane Doe, John Doe, Mary Doe. Responses due by 11/11/2011(Morawetz, Nancy) (Entered: 10/28/2011)
2011-10-2862MEMORANDUM OF LAW in Support re: 61 FIRST MOTION for Summary Judgment.. Document filed by Families for Freedom, Jane Doe, John Doe, Mary Doe. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E, # 6 Exhibit F, # 7 Exhibit G, # 8 Exhibit H, # 9 Exhibit I, # 10 Exhibit J)(Morawetz, Nancy) (Entered: 10/28/2011)
2011-11-1163FIRST REPLY MEMORANDUM OF LAW in Opposition re: 58 SECOND MOTION for Summary Judgment.. Document filed by Families for Freedom. (Attachments: # 1 Exhibit Exhibit 1, Amtrak Letter)(Morawetz, Nancy) (Entered: 11/11/2011)
2011-11-1164MEMORANDUM OF LAW in Opposition re: 61 FIRST MOTION for Summary Judgment.. Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement. (Bober, David) (Entered: 11/11/2011)
2011-11-1165DECLARATION of Elaine Dismuke in Opposition re: 61 FIRST MOTION for Summary Judgment.. Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement. (Bober, David) (Entered: 11/11/2011)
2011-11-1866FIRST REPLY MEMORANDUM OF LAW in Support re: 58 SECOND MOTION for Summary Judgment.. Document filed by Families for Freedom, Jane Doe, John Doe, Mary Doe. (Morawetz, Nancy) (Entered: 11/18/2011)
2011-11-1867REPLY MEMORANDUM OF LAW in Support re: 58 SECOND MOTION for Summary Judgment.. Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement. (Bober, David) (Entered: 11/18/2011)
2011-11-1868DECLARATION of Dione Jackson Stearns in Support re: 58 SECOND MOTION for Summary Judgment.. Document filed by United States Customs and Border Protection, United States Department of Homeland Security, United States Immigration and Customs Enforcement. (Bober, David) (Entered: 11/18/2011)
2011-12-2769OPINION AND ORDER:#101211 For the reasons explained above, defendants' motion for summary judgment is granted in part and denied in part. The Clerk of the Court is instructed to close this motion [Docket No. 58]. Defendants are ordered to produce the documents in compliance with this Opinion and Order by January 9, 2012. (Signed by Judge Shira A. Scheindlin on 12/27/2011) (rdz) Modified on 1/5/2012 (jab). (Entered: 12/27/2011)
2011-12-2770OPINION AND ORDER:#101210 Plaintiffs motion for summary judgment is granted. Plaintiffs are instructed to submit a brief letter to the Court describing precisely what limited discovery they believe is appropriate. The Clerk of the Court is instructed to close this motion [Docket No. 61]. (Signed by Judge Shira A. Scheindlin on 12/27/2011) (rdz) Modified on 1/5/2012 (jab). (Entered: 12/27/2011)
2011-12-2773INTERNET CITATION NOTE: Material from decision with Internet citation re: 69 Memorandum & Opinion. (mt) (Entered: 02/07/2012)
2012-01-0971ORDER: Defendants have requested that I stay my order of December 27, 2011 [Docket No. 69] instructing them to produce certain documents to plaintiffs by January 9,2012, under the Freedom of Information Act ("FOIA"). Defendants request a stay until January 27, 2012 so that they may have sufficient time to consider whether to pursue an appeal. Defendants' request is granted in part and denied in part. Defendants are ordered to disclose, by January 9,2012, the names of high level officials and the job titles of all officials in the transit node emails and Amtrak meeting notes, so that plaintiffs may describe precisely what limited discovery they believe is appropriate. Defendants are granted until January 27, 2012 to comply with the remainder of the December 27, 2011 order. (Signed by Judge Shira A. Scheindlin on 1/9/2012) (pl) Modified on 1/9/2012 (pl). (Entered: 01/09/2012)
2012-01-1772ORDER: On December 27,2011, I granted plaintiffs' request for discovery from United States Customs and Border Protection (CBP) [Docket No. 70]. Plaintiffs seek to serve interrogatories directed at information technology personnel at CBP's national headquarters, Buffalo Sector office, and Rochester Station office. They also seek to depose Deputy Chief of Staff Luke Lopez from national headquarters; the Acting Assistant Chief Patrol Officer at the Buffalo Sector, who attended a meeting with Amtrak officials; and a Patrol Agent in Charge from the Rochester Station. CBP requests that the interrogatories be directed at the agency in general rather than at specific offices within the agency, that plaintiffs be limited to two initial depositions, and that the agency be permitted to produce deponents whom it believes are most appropriate, under Rule 30(b)( 6).Plaintiffs shall serve interrogatories on the agency, which is the opposing party. The interrogatories can be divided into three distinct sections one regarding the national headquarters, one for the Buffalo Sector, and one for the Rochester Station. CBP shall ensure that the responses are made by individuals with first-hand knowledge of the information sought at each of these locations. After reviewing many documents, plaintiffs believe they are most likely to receive useful information from the three individuals they have identified. They are permitted to take those three depositions. However, because they are naming the deponents themselves rather than permitting CBP to select the most appropriate deponents under Rule 30(b)(6), plaintiffs will not be permitted to take further depositions absent a showing of good cause. (Signed by Judge Shira A. Scheindlin on 1/17/2012) (js) (Entered: 01/17/2012)
2012-06-1274NOTICE OF APPEARANCE by Alina Das on behalf of Families for Freedom, Jane Doe, John Doe, Mary Doe (Das, Alina) (Entered: 06/12/2012)
2012-08-1375STIPULATION OF SETTLEMENT AND ORDER OF DISMISSAL: NOW THEREFORE, IT IS HEREBY STIPULATED AND AGREED, by and between the parties: This action is hereby dismissed with prejudice, and without costs, expenses, or fees, except for as specified in paragraph 8, below. Plaintiffs stipulate and agree to accept this Stipulation of Settlement and Order of Dismissal (the "Stipulation") in full settlement and satisfaction of any and all claims related to the FOIA Requests, under the terms and conditions set forth in this Stipulation, unless specifically and expressly excluded from the terms and conditions of this Stipulation. In consideration for the release of Plaintiffs' claims against the Government related to the FOIA Requests, CBP agrees to release the following information as set forth herein. The Government agrees to promptly pay Plaintiffs the total sum of seventy thousand dollars ($70,000), payable to "Washington Square Legal Services, Inc.," which shall be in full settlement and satisfaction of all claims for damages, attorney's fees, and costs incurred in connection with this action and the FOIA Requests made to CBP, ICE, DHS that gave rise to this action, and/or any and all of their officers, agents, servants, and employees, current and former, including all claims for attorney's fees or costs that may be advanced by Plaintiffs' present counsel, as well as any that may be advanced by any other counsel who has represented Plaintiffs. ENDORSEMENT: The Clerk is directed to close this case. (Signed by Judge Shira A. Scheindlin on 9/13/2012) (signature is 8/13 confirmed mby chambers) (djc) (Entered: 08/13/2012)
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