Thomas v. United States Department of Homeland Security

876 F. Supp. 2d 1, 2012 U.S. Dist. LEXIS 85098
CourtDistrict Court, District of Columbia
DecidedApril 13, 2012
DocketMisc. Nos. 11-0636 RMC/DAR, 11-0638 DAR, 11-0639 JEB/DAR
StatusPublished
Cited by3 cases

This text of 876 F. Supp. 2d 1 (Thomas v. United States Department of Homeland Security) 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
Thomas v. United States Department of Homeland Security, 876 F. Supp. 2d 1, 2012 U.S. Dist. LEXIS 85098 (D.D.C. 2012).

Opinion

MEMORANDUM ORDER

DEBORAH A. ROBINSON, United States Magistrate Judge.

Movants, Burt Thomas, James M. Bland, III and Gary Walker, filed separate miscellaneous actions, through which each of them sought “an order preventing the government from obtaining access to [his] financial records[,]” pursuant to the Right to Financial Privacy Act, 12 U.S.C. § 3401 et seq. (“RFPA”). Motion[s] for Order Pursuant to Customer Challenge Provisions of the Right to Financial Privacy Act of 1978 (Mise. No. 11-0638, Document No. 1; Mise. No. 11-0636, Document No. 1; Mise. No. 11-0639, Document No. 1) at 1. Pursuant to LCvR 40.5(b)(2), Movants filed notices of related cases, advising the court that these three cases involve common issues of fact and arise from the same event or transaction. See Notice of Designation of Related Civil Cases Pending in This or Any Other United States Court (Mise. No. 11-0636, Document Nos. 3, 4).

Movant Bland’s action was directly reassigned to the undersigned for all purposes. See Referral to Magistrate Judge (Mise. No. 11-0638, Document No. 4) at 1. The remaining were referred to the undersigned for full case management. See Referral to Magistrate Judge (Mise. No. 11-0636, Document No. 6); Referral to Magistrate Judge (Mise. No. 11-0639, Document No. 3).

Respondent, United States Department of Homeland Security (“DHS”), provided to the court a consolidated response in camera and ex parte. United States Department of Homeland Security’s Consolidated Response to Movants Bland’s, Thomas’s, and Walker’s Customer Challenges to Financial Records (“Response”). See Notice of Filing Consolidated Response In Camera (Mise. No. 11-0638, Document No. 5; Mise. No. 11-0636, Document No. 7; Mise. No. 11-0639, Document No. 5) at 1-2.

Movants then filed notices of violation of the RFPA by Respondent, Navy Federal Credit Union, and Wachovia Bank, and requested that the court quash the subpoenas and award civil penalties to Movants. Notice of Violation of the Right to Financial Privacy Act of 1978 and Request for Civil Penalties (“Notice of Violation”) (Mise. No. 11-0638, Document No. 6; Mise. No. 11-0636, Document No. 8; Mise. No. 11-0639, Document No. 6) at 1-2. Movants supplemented their notices of violation to include a violation of the RFPA by USAA Federal Savings Bank. Supplemental Notice of Violation of the Right to [3]*3Financial Privacy Act of 1978 and Request for Civil Penalties (“Supplemental Notice of Violation”) (Mise. No. 11-0638, Document No. 9; Mise. No. 11-0636, Document No. 11; Mise. No. 11-0639, Document No. 9) at 1. Respondent filed a reply to both the Notice of Violation and the Supplemental Notice of Violation. See Statement of Respondent United States Department of Homeland Security Regarding Movants’ Notice of Violation of the Right to Financial Privacy Act of 1978 and Request for Civil Penalties (“Statement of Respondent Regarding Notice of Violation”) (Mise. No. 11-0638, Document No. 10; Mise. No. 11-0636, Document No. 12; Mise. No. 11-0639, Document No. 10) at 1-10; Statement of Respondent United States Department of Homeland Security Regarding Movants’ Supplemental Notice of Violation of the Right to Financial Privacy Act of 1978 and Request for Civil Penalties (“Statement of Respondent Regarding Supplemental Notice of Violation”) (Mise. No. 11-0638, Document No. 11; Mise. No. 11-0636, Document No. 13; Mise. No. 11-0639, Document No. 11) at 1-5.

Now pending for consideration by the undersigned are Movants’ Motions for Order Pursuant to Customer Challenge Provisions of the Right to Financial Privacy Act of 1978 (Mise. No. 11-0636, Document No. 1, Mise. No. 11-0638, Document No. 1;; Mise. No. 11-0639, Document No. 1) at 1. Movants maintain that the “Respondent ... has acted with reckless disregard for their right to financial privacy and not only issued subpoenas for which there is no legitimate law enforcement inquiry, but also has failed to substantially comply with the requirements ... under the Right to Financial Privacy Act.” Notice of Violation (Mise. No. 11-0636, Document No. 8; Mise. No. 11-0638, Document No. 6; Mise. No. 11-0639, Document No. 6) at 4.

Upon consideration of the parties’ written submissions and the entire record herein, the undersigned will order that each motion be denied.1

BACKGROUND

Movants Bland and Walker are the creators of a consulting firm, Seven 7 Agents Consulting Group (“SACG”), LLC, which specializes in designing intelligence and management programs and systems, and providing law enforcement related training for federal, state, and local governments, corporate entities, and individuals. Movants’ Motions (Mise. No. 11-0638, Document No. 1, Mise. No. 11-0639, Document No. 1) at 2. Movant Thomas is the Federal Emergency Management Agency (“FEMA”) Chief Security Officer. Movant’s Motion (Mise. No. 11-636, Document No. 1) at 2-3. On November 4, 2011, DHS’s Office of the Inspector General (“DHS-OIG”) hand-delivered administrative subpoenas duces tecum to the respective financial institutions of Movants, and sent an undated notice and copy of the subpoenas by registered first-class mail to Movants at their residences, in accordance with the RFPA, 12 U.S.C. § 3401 et seq.2 [4]*4Notice of Violation (Mise. No. 11-0636, Document No. 8; Mise. No. 11-0638, Document No. 6; Mise. No. 11-0639, Document No. 6) at 2. The subpoenas were issued as part of an investigation being conducted by DHS-OIG regarding “contract fraud and/or conflict of interests” involving a contract with FEMA. Movants’ Motions (Mise. No. 11-0636, Document No. 1; Mise. No. 11-0638, Document No. 1; Mise. No. 11-0639, Document No. 1) at 2.

On November 18, 2011, Movants Bland and Walker sent challenges to the subpoenas to DHS-OIG by faxed transmission. Response at 8. On November 21, 2011, Movants Bland and Walker served the challenges to DHS-OIG by certified mail. Id. Movant Thomas was in Nairobi, Kenya from October 29, 2011 until November 18, 2011, having reported his travel arrangements to his FEMA superiors. Movant’s Motion (Mise. No. 11-0636, Document No. 1) at 3. Movant Thomas received the documents on November 18, 2011, when he returned to the United States, and he sent a faxed transmission of his challenge to the subpoena to DHS-OIG on November 21, 2011. Id.; see also Response at 8. As of the date of Respondent’s Response, DHS-OIG had not received a copy of Movant Thomas’ challenge by certified mail or any other means of delivery. Response at 8.

On November 16, 2011, the Navy Federal Credit Union provided Movant Walker’s subpoenaed financial records to DHS-OIG. Notice of Violation (Mise. No. 11-0636, Document No. 8; Mise. No. 11-0638, Document No. 6; Mise. No. 11-0639, Document No. 6) at 3. On an unspecified date, Wachovia Bank also sent documents related to Movant Bland. Id. It is unknown to Movants whether the USAA Federal Savings Bank sent documents related to Movant Thomas. Id.

Upon receiving the financial records of Movant Walker from the Navy Federal Credit Union on November 16, 2011, DHS-OIG Special Agent K.C. Yi performed a “cursory” review of said records. Notice of Violation (Mise. No. 11-0636, Document No. 8; Mise. No. 11-0638, Document No. 6; Mise. No. 11-0639, Document No. 6) at 3.

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876 F. Supp. 2d 1, 2012 U.S. Dist. LEXIS 85098, Counsel Stack Legal Research, https://law.counselstack.com/opinion/thomas-v-united-states-department-of-homeland-security-dcd-2012.