Southeastern Legal Foundation, Inc. v. United States Environmental Protection Division

181 F. Supp. 3d 1063, 2016 U.S. Dist. LEXIS 70312, 2016 WL 3059793
CourtDistrict Court, N.D. Georgia
DecidedMarch 30, 2016
DocketCIVIL ACTION NO. 1:15-cv-0386-AT
StatusPublished
Cited by1 cases

This text of 181 F. Supp. 3d 1063 (Southeastern Legal Foundation, Inc. v. United States Environmental Protection Division) is published on Counsel Stack Legal Research, covering District Court, N.D. Georgia primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Southeastern Legal Foundation, Inc. v. United States Environmental Protection Division, 181 F. Supp. 3d 1063, 2016 U.S. Dist. LEXIS 70312, 2016 WL 3059793 (N.D. Ga. 2016).

Opinion

ORDER

Amy Totenberg, United States District Judge •

This suit brought by the Southeastern Legal' Foundation (“SLF”) under the Freedom of Information Act (“FOIA”) seeks judicial reviéw of the Environmental Protection Agency’s (“EPA”) processing of three separate FOIA requests, dated December 18, 2009,- April 22, 2010, and November 22, 2013. It is before the Court on the parties’ Cross-Motions for Summary Judgment [Docs. 14,15,19, 24].

I. Background

Plaintiff Southeastern Legal Foundation, Inc. (“SLF”) is a self-described “nonprofit public interest law firm specializing in the practice of constitutional law” and “undertakes research on policy issues of interest to the public.” (SLF Ex. B-l/Tab 22.) “Fundamental to [SLF’s] core mission is research into the activities of the Federal Government.” (SLF Ex. B-4/Tab 25 at 1.) According to its Complaint, SLF also operates as “a policy center that advocates constitutional individual liberties, limited government and free enterprise in the courts of law and public opinion,” and its work includes “advancing responsible regulation and [] challenging regulations based on flawed science and political agendas.” (Compl. ¶ 7.) SLF’s “programs include analysis, publication and a transparency initiative seeking public records relating to environmental and energy policy and how policymakers use public resources.” (Id.)

“SLF’s primary mission is to disseminate information to the public through research into the functioning of all levels' of government and, where appropriate, effect public policy through litigation.” (SLF Ex. B-4/Tab 25 at 2.) In furtherance of that mission, SLF disseminates information through a number of means, including: (i) its publicly available website and ancillary websites set up to disseminate information about ongoing litigation projects, e.g., www.epalawsuit.com; (ii) through mailing lists; (iii) press releases; and (iv) published “op-eds” in local and national -newspapers and other media. (Id.) According to SLF, “[a]s a non-profit SLF has no commercial interests in the information [SLF] collects] from the Federal Government,” and SLF’s “profit derives from the benefit [SLF] provide[s] the public through [its] research, dissemination and litigation.” (Id.)

A. SLF’s December 18, 2009 FOIA Request

On December 18,2009, SLF submitted a request under FOIA to EPA seeking documents related to EPA’s “Endangerment Findings,1” on climate change/global warming, defined in the FOIA Request as (FOIA Request No. HQ-FOI-00469-10):

a. Endangerment Finding: The Administrator finds that the current and projected concentrations of the six key well-mixed greenhouse gases—carbon dioxide (C02), methane (CH4), nitrous oxide (N20), hydrofluorocarbons (HFCs), perfluorocarbons (PFCs), and sulfur hexafluoride (SF6)—in the atmosphere threaten the public health and welfare of current and future generations; and
b. Cause or Contribute Finding: The Administrator finds that the combined emissions of these well-mixed greenhouse gases from new motor vehicles and new motor vehicle en[1068]*1068gines contribute to the greenhouse gas pollution which threatens public health and welfare.

(SLF Ex. A-l/Tab 1.) Specifically, SLF sought records: (1) discussing the timing of the release of the Endangerment Findings, including “discussions about coinciding the Endangerment Findings with the “United Nations Climate Change Conference” held December 7, 2009 through December 18, 2009 in Copenhagen, Denmark;” (2) discussing public comments related to the Endangerment findings and EPA’s responses to the public comments; and (3) discussing or analyzing the financial implications or. consequences of the Endangerment Findings. (Id.)

SLF requested a waiver of the fees associated with the search, review, and reproduction of documents, which EPA granted following an administrative appeal on February 3, 2010. (Id.; SLF Exs. A-3, A-4, A-5, A-7, A-8; Declaration of Rona Birnbaum ¶¶ 12-13.)

Seven months after submitting its FOIA request, SLF discovered that EPA had undertaken no search for the requested records. (SLF Exs. A-9 & A-10.) On July 16, 2010, EPA produced four documents in response to the request and agreed to produce the remaining documents on a rolling basis. (SLF Ex. A-ll.) Over 15 months passed before EPA produced its second batch of documents on November 29, 2011. (SLF Ex. A-15.) EPA completed its production over the next three months in January and February 2012. (SLF Exs. A-16 through A-21.)

In total, EPA located approximately 8,819 documents that were potentially responsive to SLF’s request, (Birnbaum Deck ¶24.) Following its review of the documents for responsiveness and for exempt information, EPA identified approximately 3,166 records responsive to SLF’s FOIA request and released 2,327 records, of which 111 records were released in full, 2,216 records were released in part, and 839 records were withheld in full. (Birn-baum Decl. ¶¶ 31, 37.) Records were withheld in full or in part under Exemptions 5 and 6 of the FOIA. (Birnbaum Deck ¶ 39.) Some records or portions of records were withheld under both exemptions. (Id.) EPA withheld portions of approximately 2,943 records (839 withheld in full and 2,104 withheld in part) from disclosure under Exemption 5 and the deliberative process privilege. (Birnbaum Deck ¶ 40.) EPA withheld 70 records from disclosure under Exemption 5’s attorney-client privilege of the FOIA. (Birnbaum Deck ¶ 48.) EPA withheld 22 records from disclosure under Exemption 5’s attorney work product privilege of the FOIA. (Birnbaum Deck ¶ 51.) EPA partially withheld portions of 719 records from disclosure under Exemption 6 of the FOIA which contained personal, medical, and health information of an EPA employee or family member. (Birnbaum Deck ¶¶ 54-55.) EPA partially withheld non-responsive material from 21 records because the information was outside the scope of the request. (Birnbaum Deck ¶ 58.)

SLF brought this suit to challenge EPA’s withholding and redacting of information responsive to its December 2009 FOIA Request for records relating to EPA’s Endangerment Findings under FOIA Exemptions 5 and 6. (See Comph ¶¶ 142-150.)

B. SLF’s April 12, 2010 FOIA Request

On April 12, -2010, SLF submitted a FOIA request to EPA seeking records regarding awards or grants of federal funds for research on global climate change (FOIA Request No. HQ-FOI-1115-10). (SLF Ex. B-l/Tab 22.) Specifically, SLF sought: (a) grant applications seeking federal funds for any and all research on global climate change; (b) awards, grants, [1069]*1069or funding notifications made pursuant to applications seeking federal funds for research on global climate change; (c) correspondence between EPA and grant applicants or recipients; (d) denial or deferral of awards, grants, or funding made in response to applications seeking federal funds for research on global climate change; (e) contracts entered by the funding grantee or its principal investigator in furtherance of or in conjunction with federally funded research on global climate change. (Id.)

SLF sought a waiver of the search, review, and reproduction fees under FOIA associated with its request. (SLF Ex.

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Bluebook (online)
181 F. Supp. 3d 1063, 2016 U.S. Dist. LEXIS 70312, 2016 WL 3059793, Counsel Stack Legal Research, https://law.counselstack.com/opinion/southeastern-legal-foundation-inc-v-united-states-environmental-gand-2016.