Council on American-Islamic Relations Action Network, Inc. v. Gaubatz

793 F. Supp. 2d 311, 79 Fed. R. Serv. 3d 1221, 2011 U.S. Dist. LEXIS 67259, 2011 WL 2515975
CourtDistrict Court, District of Columbia
DecidedJune 24, 2011
DocketCivil Action 09-02030 (CKK)
StatusPublished
Cited by55 cases

This text of 793 F. Supp. 2d 311 (Council on American-Islamic Relations Action Network, Inc. v. Gaubatz) 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
Council on American-Islamic Relations Action Network, Inc. v. Gaubatz, 793 F. Supp. 2d 311, 79 Fed. R. Serv. 3d 1221, 2011 U.S. Dist. LEXIS 67259, 2011 WL 2515975 (D.D.C. 2011).

Opinion

MEMORANDUM OPINION

COLLEEN KOLLAR-KOTELLY, District Judge.

Plaintiffs Council on American-Islamic Relations Action Network, Inc. (“CAIRAN”) and CAIR-Foundation, Inc. (“CAIR-F”) bring this action against two sets of defendants: Paul David Gaubatz and Chris Gaubatz (the “Gaubatz Defendants”); and the Center for Security Policy, Inc. (“CSP”) and three of its employees, Christine Brim, Adam Savit, and Sarah Pavlis (collectively with CSP, the “CSP Defendants”). Plaintiffs allege that Defendants conceived and carried out a scheme to place Chris Gaubatz in *317 an internship with CAIR-AN under an assumed identity, which allowed him to remove and copy thousands of Plaintiffs’ internal documents and to record private conversations involving Plaintiffs’ employees without consent or authorization. Plaintiffs contend that Defendants thereafter publicly disclosed and published the contents of those documents and recordings. In this action, Plaintiffs seek relief under Titles I and II of the Electronic Communications Privacy Act of 1986 (the “ECPA”), 18 U.S.C. §§ 2510-2712, and the common law of the District of Columbia. 1

There are three motions pending before the Court and addressed in this memorandum opinion: the Gaubatz Defendants’ [34] Motion to Dismiss Under Rule 12(b)(6) of the Federal Rules of Civil Procedure (“Motion to Dismiss”); Plaintiffs’ [43] Motion to Amend Complaint (“First Motion to Amend”); and Plaintiffs’ [48] Motion for Leave to File Second Amended Complaint (“Second Motion to Amend”). Upon consideration of the submissions by Plaintiffs and the Gaubatz Defendants, the relevant authorities, and the record as a whole, the Court shall grant in part and deny in part the Gaubatz Defendants’ Motion to Dismiss and grant Plaintiffs’ First Motion to Amend and Second Motion to Amend.

I. BACKGROUND

A. Factual Background

CAIR-AN is a self-described national Muslim advocacy group with' a mission that includes enhancing the understanding of Islam and promoting a positive image of Muslims in the United States. Second Am. Compl. (“2d Am. Compl.”), ECF No. [48-4], ¶ 10. 2 CAIR-F is an organization supporting CAIR-AN and its mission. Id. ¶ 11. Both CAIR-AN and CAIR-F are non-profit corporations incorporated in the District of Columbia. Id. ¶¶ 10-11. They share physical office space in the District of Columbia that is generally closed to the public and accessible to third parties only upon invitation. Id. ¶¶ 10-11, 27.

Chris Gaubatz is Paul David Gaubatz’s son.2d Am. Compl. ¶¶ 12-13. CSP is a nonprofit corporation incorporated and located in the District of Columbia. Id. ¶ 14. Christine Brim, Adam Savit, and Sarah Pavlis are all employed by CSP. Id. ¶¶ 15-17.

Sometime prior to April 2008, Defendants conceived a plan to infiltrate Plaintiffs’ offices with the aim of obtaining Plaintiffs’ internal documents and recording conversations involving Plaintiffs’ employees^ Am. Compl. ¶ 19. According to their plan, Chris Gaubatz would attempt to secure an internship with CAIR-AN under an assumed identity and deliver any materials that he was able to obtain from Plaintiffs’ offices to Paul David Gaubatz and the CSP Defendants for further dissemination. Id. In furtherance of this plan, the Gaubatz Defendants entered into two written agreements with CSP to provide CSP with materials. Id. ¶ 35.

Consistent with the agreed-upon plan, Chris Gaubatz sought and obtained an internship with the office for CAIR-AN Maryland/Virginia in April 2008. 2d Am. *318 Compl. ¶ 20. However, in June 2008, after it was announced that the office for CAIRAN Maryland/Virginia would be closing, Chris Gaubatz sought an internship at CAIR-AN’s headquarters in the District of Columbia. Id. ¶¶ 10, 21.

Chris Gaubatz obtained his internship with CAIR-AN under false pretenses. During the application process, he made false statements and omitted important facts about his background, interests, and intentions. 2d Am. Compl. ¶¶ 22-23. Among other things, he used an assumed name and represented that he was a student at a liberal arts college, that his father was in the construction business, and that he was a practicing Muslim. Id. ¶ 22. When Chris Gaubatz made these representations, he knew them to be false, and he made them in order to induce Plaintiffs to repose trust and confidence in him so that he might obtain an internship with CAIR-AN. Id. ¶¶ 23-25. He succeeded and was hired as an intern. Id. ¶ 29.

As a condition of and in consideration for his internship, Chris Gaubatz signed a confidentiality and non-disclosure agreement (the “Confidentiality Agreement”).2d Am. Compl. ¶¶ 29,102. The other party to the agreement is identified as the “Council on American-Islamic Relations.” Id. Ex. A (Confidentiality Agreement) at 1. The agreement provides:

Non-Disclosure of “Confidential Information”
I agree that I shall not at any time after the termination of my internship with CAIR, use for myself or others, or disclose or divulge to others ... any trade secrets, confidential information, or any other proprietary data of CAIR in violation of this agreement.... The intern further agrees to take and protect the secrecy of, and to avoid disclosure or use of, the “Confidential Information” in order to prevent it from falling into public domain or into the possession of persons not bound to maintain the confidentiality of Confidential Information.

Id. Ex. A (Confidentiality Agreement) at 1-2. Paul David Gaubatz and the CSP Defendants were aware of the Confidentiality Agreement because Chris Gaubatz told them that he had signed the agreement. Id. ¶ 31.

Chris Gaubatz worked as an intern for CAIR-AN until August 2008, though he returned to perform additional work over a weekend in September 2008. 2d Am. Compl. ¶ 32. During the course of his internship, he sought to collect information about Plaintiffs and their employees with the intention of publicly disclosing that information for profit and in order to cast Plaintiffs in a negative light. Id. ¶ 36. To that end, he physically removed more than 12,000 of Plaintiffs’ internal documents without authorization and delivered those documents to Paul David Gaubatz. Id. ¶¶ 37-38. Electronic documents, including e-mails and computer-generated spreadsheets, were obtained by accessing Plaintiffs’ computers and computer systems with user-names and passwords that were not assigned to him. Id. ¶¶ 40-41.

Chris Gaubatz also used a concealed electronic device to make audio and video recordings of conversations involving Plaintiffs’ employees without authorization and consented Am. Compl. ¶ 42.

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

Related

Reinhardt v. Guidehouse, Inc.
District of Columbia, 2025
Ratchford v. Cafe Dupont, LLC
District of Columbia, 2025
Toth Gray v. Harco, Inc.
District of Columbia, 2024
Solomon v. Dechert LLP
District of Columbia, 2023
Matiella v. Murdock Street LLC
District of Columbia, 2023
McPherson v. Spencer
District of Columbia, 2021
John Xereas v. Marjorie Heiss
987 F.3d 1124 (D.C. Circuit, 2021)
Imapizza, LLC v. At Pizza Limited
965 F.3d 871 (D.C. Circuit, 2020)
Broidy Capital Management LLC v. Muzin
District of Columbia, 2020
Turpin v. District of Columbia
District of Columbia, 2020

Cite This Page — Counsel Stack

Bluebook (online)
793 F. Supp. 2d 311, 79 Fed. R. Serv. 3d 1221, 2011 U.S. Dist. LEXIS 67259, 2011 WL 2515975, Counsel Stack Legal Research, https://law.counselstack.com/opinion/council-on-american-islamic-relations-action-network-inc-v-gaubatz-dcd-2011.