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USCA Case #11-5320 Document #1378417 Filed: 06/13/2012 Page 1 of 6 IN THE UNITED STATES COURT OF APPEALS FOR THE DISTRICT OF COLUMBIA CIRCUIT AMERICAN CIVIL LIBERTIES UNION and AMERICAN CIVIL LIBERTIES UNION FOUNDATION, Plaintiffs-Appellants, v. No. 11-5320 CENTRAL INTELLIGENCE AGENCY, Defendant-Appellee. PLAINTIFFS-APPELLANTS MOTION FOR EXPEDITED ARGUMENT Plaintiffs-Appellants American Civil Liberties Union and American Civil Liberties Union Foundation ( Plaintiffs ) respectfully move for expedited argument of the above-captioned appeal. Briefing is now complete but oral argument has not yet been scheduled. Plaintiffs hereby request that oral argument be held at the Court s earliest opportunity. Plaintiffs have conferred with counsel for the Government, who have indicated that the Government intends to file a response to this motion. 1. This case concerns the refusal of Defendant-Appellee Central Intelligence Agency ( CIA ) to confirm or deny the existence of records responsive to

USCA Case #11-5320 Document #1378417 Filed: 06/13/2012 Page 2 of 6 Plaintiffs request under the Freedom of Information Act ( FOIA ) for information about the CIA s use of drones to conduct targeted killings. Plaintiffs filed their FOIA request on January 13, 2010 and commenced this suit on March 16, 2010. After the district court (Collyer, J.) granted summary judgment to the CIA on September 9, 2011, Plaintiffs filed a timely appeal. 2. The only issue on appeal is whether the CIA s refusal to confirm or deny the existence of the drone program its Glomar response, see Phillippi v. CIA, 546 F.2d 1009 (D.C. Cir. 1976) is lawful given that senior government officials have repeatedly discussed the program in press conferences, in public speeches, and in the media. Plaintiffs have argued that government officials have officially acknowledged the program in those contexts and that the CIA s refusal to confirm or deny the existence of the program here is unlawful. 3. Plaintiffs request expedited resolution of this appeal because the underlying FOIA request pertains to a subject of immense public interest namely, the lawfulness, effectiveness, strategic wisdom, and morality of the CIA s use of drones to carry out targeted killings, and because the CIA s refusal to release responsive records, or even to confirm or deny the existence of the drone program, inhibits an ongoing and time-sensitive public debate about this subject. See Pl. Br. 16 39 (documenting extensive press coverage of and public debate about CIA drone program); Pl. Reply Br. 2 3 (same). 2

USCA Case #11-5320 Document #1378417 Filed: 06/13/2012 Page 3 of 6 4. Plaintiffs also believe that expedited resolution of the appeal is warranted because senior government officials on-the-record statements about the drone program are manifestly inconsistent with the CIA s reliance on the Glomar doctrine here, Pl. Br. 16 29; Pl. Reply Br. 5 14, and because the disconnect between government officials public statements and the government s litigation position in this suit is undermining public confidence in FOIA and the classification system, see Scott Shane, U.S. Attacks, Online and From the Air, Fuel Secrecy Debate, N.Y. Times, June 6, 2012, http://nyti.ms/nigctk; Jack Goldsmith, Drone Stories, the Secrecy System, and Public Accountability, Lawfare, May 31, 2012, http://bit.ly/kgpquf. 5. Further undermining public confidence is the the veritable cascade of statements about the CIA s drone program that have been attributed to officials, current CIA officials, former intelligence officials, and senior administration officials. Pl. Reply Br. 2. Since Plaintiffs filed their brief, additional evidence has come to light that at least some of these leaks were authorized by the White House and CIA. A recently-published book by investigative reporter Daniel Klaidman includes this passage: Though the [drone] program was covert, [former White House Chief of Staff Rahm] Emanuel pushed the CIA to publicize its kinetic successes. When [Pakistani Taliban leader Baitullah] Mehsud was killed, agency public affairs officers anonymously trumpeted their triumph, leaking colorful tidbits to trusted reporters on the intelligence beat. Newspapers described the hit in cinematic detail, including the 3

USCA Case #11-5320 Document #1378417 Filed: 06/13/2012 Page 4 of 6 fact that Mehsud was blown up on the roof of his father-in-law s compound while his wife was massaging his legs. Daniel Klaidman, Kill or Capture 122 (2012). See also Scott Shane, U.S. Attacks, Online and From the Air, Fuel Secrecy Debate, N.Y. Times, June 6, 2012, http://bit.ly/kgpquf ( Senator John McCain of Arizona... told reporters on Tuesday that administration officials were intentionally leaking information to enhance President Obama s image as a tough guy for the elections ). 1 6. Plainly, the White House and CIA are free to decide that previously classified information should no longer be classified, and the mere fact that information has been withheld in the past does not mean that it must be withheld for all time. (Indeed, Plaintiffs filed the FOIA request at issue here because they believe that more disclosure about the CIA s drone program would serve the public interest.) But the executive cannot lawfully release selected information about the CIA s drone program to the media, both on the record and off, while insisting to the courts that the release of any information about the program would jeopardize national security. As 1 On June 8, Attorney General Eric Holder announced that the Justice Department would investigate recent leaks about classified national security operations. Evan Perez, Holder Puts Top Prosecutors on Leak Probe, Wall St. J., June 8, 2012, http://on.wsj.com/ki2jtr. It is unclear whether this investigation encompasses leaks relating to the CIA s drone program. Charlie Savage, Holder Directs U.S. Attorneys to Track Down Paths of Leaks, N.Y. Times, June 8, 2012, http://nyti.ms/lfxvyb. 4

USCA Case #11-5320 Document #1378417 Filed: 06/13/2012 Page 5 of 6 Plaintiffs have explained, Pl. Reply Br. 16 20, FOIA was enacted to prevent precisely this. 7. For these reasons, Plaintiffs respectfully request that the Court schedule oral argument at its earliest opportunity. Respectfully submitted, /s/ Jameel Jaffer Jameel Jaffer Nathan Freed Wessler American Civil Liberties Union Foundation 125 Broad Street, 18th Floor New York, NY 10004 Telephone: (212) 549-2500 Fax: (212) 549-2654 jjaffer@aclu.org nwessler@aclu.org Arthur B. Spitzer American Civil Liberties Union of the Nation s Capital 4301 Connecticut Avenue, NW, Suite 434 Washington, DC 20008 Telephone: (202) 457-0800 Fax: (202) 452-1868 art@aclu-nca.org June 13, 2012 Counsel for Plaintiffs Appellants 5

USCA Case #11-5320 Document #1378417 Filed: 06/13/2012 Page 6 of 6 CERTIFICATE OF SERVICE On June 13, 2012, I served upon the following counsel for Defendant- Appellee one copy of PLAINTIFFS-APPELLANTS MOTION FOR EXPEDITED ARGUMENT via this Court s electronic filing system: Douglas N. Letter U.S. Department of Justice 950 Pennsylvania Ave., NW Room 7513 Washington, D.C. 20530 Direct: (202) 514-3602 Email: douglas.letter@usdoj.gov /s/ Jameel Jaffer Jameel Jaffer Counsel for Plaintiffs Appellants Executed on June 13, 2012 6