American Small Business League v. United States Small Business Administration

CourtDistrict Court, N.D. California
DecidedJune 7, 2022
Docket4:21-cv-02877
StatusUnknown

This text of American Small Business League v. United States Small Business Administration (American Small Business League v. United States Small Business Administration) 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
American Small Business League v. United States Small Business Administration, (N.D. Cal. 2022).

Opinion

1 2 3 4 UNITED STATES DISTRICT COURT 5 NORTHERN DISTRICT OF CALIFORNIA 6 7 AMERICAN SMALL BUSINESS Case No. 21-cv-02877-DMR LEAGUE, 8 Plaintiff, ORDER ON CROSS-MOTIONS FOR 9 SUMMARY JUDGMENT v. 10 Re: Dkt. Nos. 15, 19 UNITED STATES SMALL BUSINESS 11 ADMINISTRATION,

12 Defendant.

13 14 Plaintiff American Small Business League (“ASBL”) submitted three1 requests for 15 information under the federal Freedom of Information Act (“FOIA”) to Defendant United States 16 Small Business Administration (“SBA”) and sought to waive or reduce fees related to search, 17 review, and duplication of responsive documents. SBA denied ASBL’s fee waiver or reduction 18 requests and charged fees to complete the FOIA production. The parties now cross-move for 19 summary judgment on whether SBA’s fees assessment was proper. See Pl.’s Mot. for Summ. J. 20 (“ASBL Mot.”) [Docket No. 15]; Def.’s Cross-Mot. for Summ. J. (“SBA Mot.”) [Docket No. 19]; 21 Pl.’s Opp’n & Reply (“ASBL Opp’n”) [Docket No. 22]; Def.’s Reply (“SBA Reply”) [Docket No. 26]. The court held a hearing on February 10, 2022. Having reviewed the record and considered 22 the parties’ arguments, each motion is granted in part and denied in part. 23 24

25 1 ASBL attempted to add two more FOIA requests to this case (described as FOIA Request Nos. 566 and 1133), arguing that they are related to another request that is part of this motion. For the 26 reasons stated during the February 10, 2022 hearing, the court ruled that they were not related and 27 that ASBL must file a separate complaint if it wishes to pursue a fee waiver claim with respect to those two requests. See 2/10/2022 Min. Order [Docket No. 27]; 2/10/2022 H’g Tr. at 19-20 I. BACKGROUND 1 The following facts are undisputed unless otherwise noted. ASBL is an advocacy 2 organization that seeks to promote and advocate for the interests and legal rights of small 3 businesses, including women-, veteran-, and minority-owned small businesses. Declaration of 4 Lloyd Chapman (“Chapman Decl.”) ¶ 3. Chapman is the president and founder of ASBL and 5 describes himself as a long-time advocate for small businesses. Id. ¶¶ 1-2, 6. ASBL uses FOIA 6 requests and other tools to investigate whether programs meant to help small business are working 7 as intended and evaluate the truth of public statements about these programs and their 8 implementation against internal program data. Id. ¶ 3. ASBL then publicizes its findings through 9 public statements and national news media appearances. Id. ¶¶ 3, 6. ASBL regularly makes FOIA 10 requests and analyzes and publishes the information it obtains; it has successfully prosecuted 11 many FOIA lawsuits. Id. ¶¶ 3-4. 12 Defendant SBA is a federal agency established under the 1953 Small Business Act “with 13 the declared policy that ‘the Government should aid, counsel, assist, and protect, insofar as is 14 possible, the interests of small-business concerns.’” Lopez v. Bank of Am., N.A., 505 F. Supp. 3d 15 961, 964 (N.D. Cal. 2020) (quoting 15 U.S.C. § 631(a)); see 15 U.S.C. § 633. The SBA is 16 responsible for administering the Paycheck Protection Program (“PPP”), enacted by the 2020 17 Coronavirus Aid, Relief, and Economic Security (CARES) Act. Lopez, 505 F. Supp. 3d at 966. 18 The PPP “provide[d] fully guaranteed SBA loans for certain eligible small businesses, individuals 19 and nonprofit organizations that c[ould] be forgiven if loan proceeds were used as required by the 20 Act. Eligible expenses include[d] payroll, rent, utility payments, and other limited uses.” 21 Declaration of Karl Olson (“Olson Decl.”) Ex. N at 6 (SBA Office of the Inspector General, 22 Inspection of SBA’s Implementation of the Paycheck Protection Program—Report No. 21-07 (Jan. 23 14, 2021)). Congress originally appropriated $349 billon to the program and subsequently 24 appropriated an additional $310 billion. Id. 25 26 27 A. FOIA Request No. 5652 1 On April 9, 2020, ASBL through its counsel Karl Olson requested five categories of 2 records related to the SBA’s press office communications with external parties between June 1, 3 2019 and March 31, 2020. Olson Decl. Ex. A at 2; Declaration of Eric S. Benderson (“Benderson 4 Decl.”) ¶ 4.3 Specifically, ASBL requested: 5

6 • All documents indicating the names and salaries of each current employee of the Small Business Administration’s (SBA) Press Office. 7 • All documents indicating, concerning, or referring to all outbound calls made by every employee of the SBA’s Press Office between June 1, 2019 and March 31, 2020. 8 • All records of communications (written, oral, and electronic) indicating, concerning, or referring to outbound calls made by every employee of the SBA’s Press Office between 9 June 1, 2019 and March 31, 2020. • All documents indicating, concerning, or referring to any and all inbound and outbound 10 calls for [Deputy Associate Administrator (Operations) for the Office of Communications Public Liaison] Terry Sutherland between June 1, 2019 and March 31, 2020. 11 • All records of communications (written, oral, and electronic) indicating, concerning, or referring to any and all inbound and outbound calls for Terry Sutherland between June 1, 12 2019 and March 31, 2020. 13 Olson Decl. Exs. A, B; Benderson Decl. ¶ 4. ASBL sought a waiver or reduction of fees because 14 it intended to use the information “for educational purposes,” “because disclosure of the requested 15 information is in the public interest,” and because the information “contributes significantly to the 16 public understanding of the operations and activities of the SBA, and primarily promotes 17 [ASBL’s] noncommercial interests.” Olson Decl. Ex. A. SBA designated this FOIA request as 18 Request No. 2020-SBA-00565. Olson Decl. ¶ 2; Benderson Decl. ¶ 4 (“Request No. 565”). On 19 April 23, Olson spoke with SBA Senior Legal Counsel David Fishman and clarified that the 20 request included SBA press office correspondence containing particular search terms, including 21 “COVID-19” and the “Paycheck Protection Program.” Olson Decl. ¶ 2; Benderson Decl. ¶ 5. 22 While ASBL does not elaborate on the subject of the phone call, uncontroverted record evidence 23 indicates that in that call ASBL further requested that: 24 • Mr. Sutherland’s email records be searched and produced for the time period set forth in 25 26 2 The court denominates each request with the tracking number assigned to it by SBA. 27 3 Page citations to the exhibits in Olson and Benderson Declarations are to the ECF-stamped ASBL’s FOIA requests. 1 • A word search for all SBA press office employees be done using the following search terms: “New York Times,” “Washington Post,” “Fox News,” “USA Today,” “Los Angeles 2 Times,” “San Francisco Chronicle,” “CNN,” “CBS News,” “PBS Newshour,” “MSNBC,” and “big business.” 3 • A search for all press office employees be conducted using the search terms: “Pandemic,” Coronavirus,” “COVID- 19,” “inspector general,” “paycheck protection program,” “glenn 4 fine” and “President Trump.” 5 Olson Decl. Ex. B; Benderson Decl. ¶ 5, Ex. B. 6 On May 7, 2020, SBA responded to Request No. 565 in writing. Olson Decl. Ex. B; see 7 Benderson Decl. ¶ 6. After documenting the additional items that Olson requested in his call with 8 Fishman, SBA rejected ASBL’s request for a fee waiver based on a four-factor test articulated in 9 the letter. Olson Decl. Ex. B. SBA estimated the initial costs of Request No. 565 at $12,584. Id. 10 ASBL replied on May 12, 2020, describing SBA’s estimate as “outrageous and 11 astounding” and demanding that SBA reconsider its position on the fee waiver. Olson Decl. Ex. 12 C. The parties dispute what happened next. According to ASBL, SBA never responded to its 13 letter requesting reconsideration. ASBL Mot.

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American Small Business League v. United States Small Business Administration, Counsel Stack Legal Research, https://law.counselstack.com/opinion/american-small-business-league-v-united-states-small-business-cand-2022.