Buc v. Food and Drug Administration

CourtDistrict Court, District of Columbia
DecidedFebruary 1, 2011
DocketCivil Action No. 2010-0293
StatusPublished

This text of Buc v. Food and Drug Administration (Buc v. Food and Drug Administration) is published on Counsel Stack Legal Research, covering District Court, District of Columbia primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Buc v. Food and Drug Administration, (D.D.C. 2011).

Opinion

UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA

NANCY L. BUC, MADHUSHA DISSANAYAKE, and BUC & BEARDSLEY, LLP,

Plaintiffs, Civil Action No. 10-00293 (CKK) v.

FOOD AND DRUG ADMINISTRATION,

Defendant.

MEMORANDUM OPINION (February 1, 2011)

This action arises out of a series of requests made by the law firm Buc & Beardsley, LLP

(“Buc & Beardsley”) and two of its attorneys, Nancy L. Buc and Madhusha Dissanayake

(collectively, “Plaintiffs”), pursuant to the Freedom of Information Act (“FOIA”), 5 U.S.C. § 552

et seq., seeking the disclosure of documents and records relating to Zicam cold remedy nasal

products from the Food and Drug Administration (the “FDA”), an operating division of the

United States Department of Health and Human Services. After the FDA failed to fully respond

to several separate FOIA requests within the statutorily prescribed time period, Plaintiffs

commenced this action seeking declaratory and injunctive relief, including an order requiring the

FDA to promptly produce the records and documents requested. Presently before the Court is the

FDA’s [7] Motion for a Stay pursuant to Open America v. Watergate Special Prosecution Force,

547 F.2d 605 (D.C. Cir. 1976). Specifically, the FDA seeks a stay of the proceedings in this

action until early September 2011—seventeen months and two weeks from the filing of its moving papers1—in order to complete its review and release the records responsive to Plaintiffs’

various requests. For the reasons set forth below, the Court concludes that the FDA has failed to

carry its burden of establishing the “exceptional circumstances” required to justify the stay it

seeks and shall therefore DENY the FDA’s [7] Motion for a Stay. While mindful of the

substantial backlog of pending FOIA requests that the FDA presently faces, in light of the FDA’s

failure to establish its right to the relief sought and the fact that the FDA has already taken for

itself a period of time far in excess of the statutory default to discharge of its obligations, the

Court shall require the FDA to (a) begin processing Plaintiffs’ outstanding requests immediately,

(b) promptly produce any responsive documents on a rolling basis, and (c) complete its

production on or before March 1, 2011.

I. BACKGROUND

Plaintiff Buc & Beardsley, LLP represents Matrixx Initiatives, Inc. (“Matrixx”) in FDA-

related matters and submitted the FOIA requests at issue in this action on Matrixx’s behalf.

Compl., Docket No. [1], ¶ 4. Each of the five FOIA requests at issue was signed either by

Plaintiff Nancy L. Buc, a partner at Buc & Beardsley, or by Plaintiff Madhusha Dissanayake, an

associate at the firm. Id. ¶¶ 12, 20, 28, 34, 42. The five requests, in chronological order of their

submission date, are as follows:

• Request 2009-5323: On June 29, 2009, Plaintiffs submitted their first

1 The FDA filed the present Motion for a Stay on March 22, 2010. See Def.’s Mot. for a Stay, Docket No. [7]. Plaintiffs filed an opposition on April 5, 2010. See Pls.’ Opp’n to Def.’s Mot. for a Stay, Docket No. [8]. The FDA filed a reply on April 12, 2010. See Def.’s Reply in Supp. of Mot. for a Stay (“Def.’s Reply”), Docket No. [9]. The parties have filed a variety of supporting papers relating to this motion. For purposes of economy, the Court shall not cite to those documents here, but notes that it renders its decision today upon the parties’ submissions, the attachments thereto, and the record as a whole.

2 FOIA request to the FDA (“Request 2009-5323”), requesting the FDA’s health hazard evaluations of Zicam cold remedy nasal products. Id. ¶¶ 11- 17.

• Request 2009-6862: On August 18, 2009, Plaintiffs submitted their second FOIA request to the FDA (“Request 2009-6862”), requesting documents and records relating to Compliance Policy Guide 7132.15. Id. ¶¶ 19-25.

• Request 2009-8794: On October 22, 2009, Plaintiffs submitted their third FOIA request to the FDA (“Request 2009-8794”), requesting documents and records relating to a Drug Safety Oversight Board Meeting discussing Zicam cold remedy nasal products. Id. ¶¶ 27-31.

• Request 2009-9403: On November 16, 2009, Plaintiffs submitted their fourth FOIA request to the FDA (“Request 2009-9403”), requesting “all documents or records . . . relating to a press conference FDA held regarding Zicam cold remedy nasal products, a Warning Letter issued by FDA to Matrixx, regarding these products, and a News Release, Public Health Advisory, Fact Sheet, Consumer Article, and Drug Safety Podcast that FDA posted on its website.” Id. ¶¶ 33-39.

• Request 2009-9424: Also on November 16, 2009, Plaintiffs submitted their fifth and final FOIA request to the FDA (“Request 2009-9424”), requesting “documents and records relating to the statements of Douglas C. Throckmorton, M.D. that were made during a telephone call with counsel for Matrixx from Buc & Beardsley.” Id. ¶¶ 41-47.

The timeliness of the FDA’s response to two of these five requests is no longer at issue in

this action. First, the FDA responded in full to Request 2009-8794 four months after its receipt

and prior to the commencement of this action. Id. ¶ 31. Second, in the time since this action

was commenced, the FDA has apparently responded in full to Request 2009-5323—albeit over

eight months after its receipt. Decl. of Frederick J. Sadler in Supp. of Def.’s Mot. for a Stay

(“Sadler Decl.”), Docket No. [7-1], ¶ 16; Decl. of Nancy B. Sager in Supp. of Def.’s Mot. for a

3 Stay (“Sager Decl.”), Docket No. [7-15], ¶ 34.2 As a result, the only requests that remain

outstanding in full or in part are Request 2009-6862, Request 2009-9403, and Request 2009-

9424 (collectively, the “Outstanding Requests”). As of today, two of these requests have been

pending for approximately one year and two months, while the remaining request has been

pending for approximately one year and five months.

Each of the Outstanding Requests was forwarded to the FDA’s Center for Drug

Evaluation and Research (the “CDER”) and thereafter routed to the CDER’s Division of

Information Disclosure Policy (the “DIDP”) for further processing. Sager Decl. ¶¶ 36, 40, 44.3

In processing FOIA requests, the DIDP employs a multi-track system: (1) requests are assigned

to the “Simple Track” when they (a) “can be answered quickly with readily available documents”

and “require no further searching or redacting,” or (b) are “reasonably expected by DIDP to

require no more than one hour of search time and two hours of review time;” and (2) requests

that do not qualify for the “Simple Track,” because they will require more extensive searches or

significant review time, are generally assigned to the slower “Complex Track.” Id. ¶ 8. The

pending searches pertaining to the Outstanding Requests have all been assigned to the DIDP’s

2 In this context, “[a]gency affidavits are accorded a presumption of good faith, which cannot be rebutted by purely speculative claims.” SafeCard Servs., Inc. v. Secs. & Exch. Comm’n, 926 F.2d 1197, 1200 (D.C. Cir. 1991) (internal quotation marks omitted).

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Bloomberg L.P. v. United States Food & Drug Administration
500 F. Supp. 2d 371 (S.D. New York, 2007)
Leadership Conference on Civil Rights v. Gonzales
404 F. Supp. 2d 246 (District of Columbia, 2005)
Electronic Frontier Foundation v. Department of Justice
517 F. Supp. 2d 111 (District of Columbia, 2007)

Cite This Page — Counsel Stack

Bluebook (online)
Buc v. Food and Drug Administration, Counsel Stack Legal Research, https://law.counselstack.com/opinion/buc-v-food-and-drug-administration-dcd-2011.