Am. Small Bus. League v. Dep't of Def. & Dep't of Justice

372 F. Supp. 3d 1018
CourtDistrict Court, N.D. California
DecidedMarch 8, 2019
DocketNo. C 18-01979 WHA
StatusPublished
Cited by1 cases

This text of 372 F. Supp. 3d 1018 (Am. Small Bus. League v. Dep't of Def. & Dep't of Justice) is published on Counsel Stack Legal Research, covering District Court, N.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Am. Small Bus. League v. Dep't of Def. & Dep't of Justice, 372 F. Supp. 3d 1018 (N.D. Cal. 2019).

Opinion

William Alsup, United States District Judge

INTRODUCTION

In this FOIA action, both sides move for summary judgment. For the reasons stated below, both motions are GRANTED IN PART and DENIED IN PART .

STATEMENT

Plaintiff American Small Business League is a non-profit organization that *1022promotes the interests of small businesses. To that end, it focuses public attention on emerging issues for small businesses, reviews federal and state government policies and procedures to determine the potential impact on small businesses, and monitors federal contracts that are awarded to large corporations rather than to small businesses (Dkt. No. 1 ¶ 4).

The Small Business Act mandates that the federal government encourage government contractors to subcontract to "small disadvantaged businesses" ("SDB"). Under regulations subsequently enacted to implement SDB goals, federal government contractors must submit a subcontracting plan as part of the bidding process for a potential contract award. And, defendant Department of Defense monitors contractor compliance with SDB goals (Buffler Decl. ¶¶ 4-9).

The Act normally requires prime contractors to submit "Individual Subcontracting Plans" for each contract to show how government contracts and subcontracts are awarded to small businesses. But in 1990, Congress passed the Test Program, thereby allowing certain large defense contractors to instead submit a single annual "Comprehensive Subcontracting Plan" for an entire plant, division, or company to identify all subcontract amounts awarded to small businesses on government contracts. Test Program participants must submit their Comprehensive Subcontracting Plan to the DOD each year for review and approval (id. ¶¶ 5, 8).

This action is related to a prior FOIA case, American Small Business League v. Department of Defense , Case No. C 14-02166 WHA, 2014 WL 6662427 (N.D.Cal. Nov. 23, 2014) (" ASBL I "). There, in August 2013, the same plaintiff requested Sikorsky's 2013 Comprehensive Small Business Subcontracting Plan from the DOD pursuant to FOIA. The agency initially denied plaintiff's request on the basis that the requested document contained confidential commercial information and thus fell under FOIA's exemption under Section 552(b)(4). In March 2018, after years of litigation and a trip to our court of appeals, the government released the document over Sikorsky's objections (with the exception of limited redactions for private personal information under Section 552(b)(6) ).

As relevant to the instant motions, plaintiff now seeks GE Aviation's 2014 Comprehensive Subcontracting Plan. It also seeks all documents transmitted during ASBL I between the DOD or defendant Department of Justice and Lockheed Martin Corporation (including Sikorsky Aircraft Corporation, a subsidiary of Lockheed) regarding the 2013 FOIA request, ASBL, Lloyd Chapman, the Comprehensive Subcontracting Plan Test Program ("CSPTP"), and the Mentor-Protégé program (Dkt. No. 47 at 7).

Since plaintiff filed the instant action in March 2018, the government has produced responsive documents (along with Vaughn indexes), subject to redactions (Dkt. No. 29 ¶ 2). The government declared those redacted materials exempt under 5 U.S.C. §§ 552(b)(3)-(6).

The parties now cross-move for summary judgment on the government's redactions. The government moves to confirm the determinations of exemption (Dkt. No. 44). Plaintiff challenges the government's assertion of Exemptions 3-5 as follows (Dkt. No. 47 at 8; Olson Decl., Exh. D):1

(1) Redactions to GE's 2014 Comprehensive Subcontracting Plan pursuant to Exemption 4;
*1023(2) Redactions to contractor past performance evaluations and Comprehensive Subcontracting Plans pursuant to Exemption 3 and 4; and
(3) Redactions to communications between the government and Sikorsky's counsel during ASBL I pursuant to Exemption 5.

Plaintiff also challenges the adequacy of the government's searches. This order follows full briefing and oral argument.

ANALYSIS

FOIA's purpose is to let us see what our government has been up to by "provid[ing] public access to official information 'shielded unnecessarily' from public view and establish[ing] a 'judicially enforceable public right to secure such information from possibly unwilling official hands.' " Lahr v. Nat'l Transp. Safety Bd. , 569 F.3d 964, 973 (9th Cir. 2009) (quoting Dep't of Air Force v. Rose , 425 U.S. 352, 361, 96 S.Ct. 1592, 48 L.Ed.2d 11 (1976) ). FOIA thus "mandates a policy of broad disclosure of government documents." Church of Scientology of California v. U.S. Dep't of Army , 611 F.2d 738, 741 (9th Cir. 1979), overruled on other grounds by Animal Legal Def. Fund v. U.S. Food & Drug Admin. , 836 F.3d 987 (9th Cir. 2016).

"When a request is made, an agency may withhold a document, or portions thereof, only if the material at issue falls within one of the nine statutory exemptions found in [ Section] 552(b)." Maricopa Audubon Soc. v. U.S. Forest Serv. , 108 F.3d 1082, 1085 (9th Cir. 1997). "These exemptions are explicitly exclusive and must be narrowly construed in light of FOIA's dominant objective of disclosure, not secrecy." Ibid. (citations and quotations omitted). "FOIA's strong presumption in favor of disclosure places the burden on the government to show that an exemption properly applies to the records it seeks to withhold." Hamdan v. U.S. Dep't of Justice , 797 F.3d 759, 772 (9th Cir.

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Bluebook (online)
372 F. Supp. 3d 1018, Counsel Stack Legal Research, https://law.counselstack.com/opinion/am-small-bus-league-v-dept-of-def-dept-of-justice-cand-2019.