Zand v. Islamic Republic of Iran

CourtDistrict Court, District of Columbia
DecidedSeptember 30, 2022
DocketCivil Action No. 2019-2602
StatusPublished

This text of Zand v. Islamic Republic of Iran (Zand v. Islamic Republic of Iran) 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
Zand v. Islamic Republic of Iran, (D.D.C. 2022).

Opinion

UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA

MEHRANGIZ KAR, et al., Plaintiffs,

v. Civil Action No. 19-2070 (JDB) ISLAMIC REPUBLIC OF IRAN, et al. Defendants.

BANAFSHEH ZAND, Plaintiff,

v. Civil Action No. 19-2602 (JDB)

ISLAMIC REPUBLIC OF IRAN, et al. Defendants.

MEMORANDUM OPINION

Plaintiffs Mehrangiz Kar, Azadeh Pourzand, and Banafsheh Zand are, respectively, the

spouse and two daughters of Siamak Pourzand (“Siamak”). Kar Mot. for Default J. [ECF No. 20]

at 5–6; Decl. of Mehrangiz Kar [ECF No. 20-11] (“Kar Decl.”) ¶ 3; Decl. of Azadeh Pourzand

[ECF No. 20-12] (“Azadeh Decl.”) ¶ 3; Zand Mot. for Default J. [Zand ECF No. 13] at 5; Decl. of

Banafsheh Zand [Zand ECF No. 13-6] (“Zand Decl.”) ¶ 3. 1 Plaintiffs allege that Iran is liable for

the hostage taking, torture, and extrajudicial killing of Siamak, and they have filed suit under the

terrorism exception to sovereign immunity in the Foreign Sovereign Immunities Act (“FSIA”), 28

U.S.C. § 1605A. See Kar Compl. [ECF No. 1] ¶¶ 1, 4; Zand Compl. [Zand ECF No. 1] ¶¶ 1, 4.

1 Unless otherwise indicated, all docket entry citations will refer to the filings in Kar v. Islamic Republic of Iran, No. 19-cv-2070. The Court will cite filings in Zand v. Islamic Republic of Iran, 19-cv-2602, as “Zand ECF No. #.”

1 Plaintiffs have filed two substantively identical motions for default judgment. See generally Kar

Mot. for Default J.; Zand Mot. for Default J. For the reasons that follow, the Court will grant

plaintiffs’ motions in part and deny them in part.

Background

I. Factual Background

Siamak Pourzand was “a renowned Iranian journalist, cultural figure, and recipient of

numerous awards from international institutions.” Kar Mot for Default J. at 2; see also Iran Human

Rights Documentation Center, Mockery of Justice: The Framing of Siamak Pourzand 8–9 (2008)

[ECF No. 20-42] (“The Framing of Siamak Pourzand”) (describing Siamak’s career as a journalist

and film critic) 2; Drewery Dyke, Siamak Pourzand: Persecuted to Death, Harassed After Death,

Amnesty Int’l, May 6, 2011, at 1 [ECF No. 20-43] (“Siamak Pourzand: Persecuted to Death”). 3

He was married to plaintiff Mehrangiz Kar, a prominent human rights lawyer and activist working

to empower women and democracy in Iran. Kar Mot. for Default J. at 2; Kar Decl. ¶¶ 3, 5–7; see

Mehrangiz Kar Bar License [ECF No. 20-5]. Siamak and Kar had two daughters: Lily Pourzand

(“Lily”) and plaintiff Azadeh Pourzand (“Azadeh”). Kar Mot. for Default J. at 5; Kar Decl. ¶ 3;

Azadeh Decl. ¶ 3; Azadeh Pourzand Birth Certificate [ECF No. 20-7]. Plaintiff Banafsheh Zand

is Siamak’s daughter from an earlier marriage. Zand Mot. for Default J. at 5; Zand Decl. ¶ 3.

Siamak became a target of Iran due to, among other things, his public criticism of the

government and the interviews he conducted with prominent Americans. Kar Mot. for Default J.

at 2; The Framing of Siamak Pourzand 8–9 (stating Iran was skeptical of Siamak because he had

interviewed U.S. President Richard Nixon, he had served briefly as the deputy of the General

2 Available at https://iranhrdc.org/mockery-of-justice-the-framing-of-siamak-pourzand/ (last accessed Sept. 21, 2022). 3 Available at https://www.amnesty.org/en/latest/campaigns/2011/05/siamak-pourzand-persecuted-to-death- harassed-after-death/ (last accessed Sept. 21, 2022).

2 Manager of the Ministry of Education, and his brother had been a colonel in the Shah’s armed

forces). Kar’s activism also put her and Siamak at risk of persecution. See Kar Mot. for Default

J. at 2, 12; The Framing of Siamak Pourzand 9. After Kar publicly criticized the Iranian

government while presenting at a conference in Germany in 2000, she was arrested and charged

with crimes such as “acting against national security” and “spreading propaganda.” Kar Decl.

¶ 10; Kar Mot. for Default J. at 2; The Framing of Siamak Pourzand 9 & n.32. Kar was sentenced

to four years imprisonment in January 2001, but, due to international pressure, she was released

after 54 days so that she could obtain medical treatment for her breast cancer. Kar Mot. for Default

J. at 2; Kar Decl. ¶¶ 10–11; The Framing of Siamak Pourzand 9. Kar and her daughter Azadeh

traveled to the United States in late summer or early fall of that year. Kar Mot. for Default J. at

2–3; Kar Decl. ¶ 11; Azadeh Decl. ¶¶ 16–17 (stating Azadeh arrived in the United States in the

fall of 2001); The Framing of Siamak Pourzand 9 (stating Kar left Iran in August 2001). Siamak

remained in Iran. See Kar Mot. for Default J. at 3; Azadeh Decl. ¶ 17; The Framing of Siamak

Pourzand 10.

In November 2001, while Kar and Azadeh were still in the United States, Siamak was

arrested outside his sister’s apartment in Iran. Kar Mot for Default J. at 3; Kar Decl. ¶ 16; The

Framing of Siamak Pourzand 11; Nov. 27, 2001 Appeal from Amnesty Int’l [ECF No. 20-30] at

1. His captors took him to his apartment, searched it, and seized property. Kar Mot for Default J.

at 3, 39; Kar Decl. ¶ 16; The Framing of Siamak Pourzand 11. For at least two weeks, Siamak’s

family did not receive any news about him. Kar Decl. ¶ 17; The Framing of Siamak Pourzand 11.

On December 7, Siamak’s sister received an anonymous phone call instructing her to bring a

change of clothes for Siamak to the office of Amaken, an Iranian institution responsible for

investigating moral crimes. Kar Mot for Default J. at 11–12; Kar Decl. ¶ 18; The Framing of

3 Siamak Pourzand 12. Siamak’s sister asked for information about his location and the charges

against him, but she was told that was none of her business. Kar Decl. ¶ 18. For months, Siamak’s

family did not know where he was being held or what crimes he was accused of committing. Kar

Mot for Default J. at 3; Kar Decl. ¶ 20; Zand Decl. ¶ 18; Azadeh Pourzand, Tell Me, Where Is My

Father?, Wash. Post, Dec. 30, 2001 at B7 [ECF No. 20-25]. 4

Siamak’s detention received substantial international attention. See The Framing of

Siamak Pourzand 12 (explaining that the Legal Director of the Islamic Human Rights Commission

of Iran requested information about Siamak’s case); Feb. 1, 2002 Appeal from Amnesty Int’l [ECF

No. 20-31] at 1 (“Amnesty International is concerned that Siamak Pourzand is being ill treated and

possibly tortured in custody, possibly with the aim of obtaining a ‘confession’ in advance of a trial.

No charges have been made against him and he has been denied the right to legal representation.”);

Feb. 2, 2002 Letter to the Secretary-General of the United Nations from Associate Professors of

the Woodrow Wilson International Center for Scholars [ECF No. 20-36]; Kar Decl. ¶ 27 (stating

that the United Nations Working Group on Arbitrary Detention asked Iran about Siamak’s

detention on February 14, 2002). After “intense international pressure,” Siamak was permitted to

briefly meet with his sister at the Amaken office. Feb. 2, 2002 Letter from the Woodrow Wilson

International Center to the Secretary-General of the United Nations; Feb. 1, 2002 Appeal from

Amnesty Int’l at 1. During one of their few meetings, Siamak told her that “Iranian authorities

wanted to ‘blackmail,’ ‘humiliate,’ and ‘disgrace’ the family.” Kar Decl. ¶ 21; accord The

Framing of Siamak Pourzand 14. Kar also received a voicemail from Siamak one day that stated:

“Please, please with no one . . . . You do not know, I do not know . . . so do not talk with anyone.”

Kar Decl.

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

Related

Kokkonen v. Guardian Life Insurance Co. of America
511 U.S. 375 (Supreme Court, 1994)
Hill v. Republic of Iraq
328 F.3d 680 (D.C. Circuit, 2003)
GSS Group Ltd. v. National Port Authority
680 F.3d 805 (D.C. Circuit, 2012)
John McShain, Inc. v. L'Enfant Plaza Properties, Inc.
402 A.2d 1222 (District of Columbia Court of Appeals, 1979)
Estate of Heiser v. Islamic Republic of Iran
659 F. Supp. 2d 20 (District of Columbia, 2009)
Peterson v. Islamic Republic of Iran
515 F. Supp. 2d 25 (District of Columbia, 2007)
Belkin v. Islamic Republic of Iran
667 F. Supp. 2d 8 (District of Columbia, 2009)
DeKine v. District of Columbia
422 A.2d 981 (District of Columbia Court of Appeals, 1980)
Nikbin v. Islamic Republic of Iran
517 F. Supp. 2d 416 (District of Columbia, 2007)
Cicippio v. Islamic Republic of Iran
18 F. Supp. 2d 62 (District of Columbia, 1998)
Valore v. Islamic Republic of Iran
700 F. Supp. 2d 52 (District of Columbia, 2010)
Murphy v. Islamic Republic of Iran
740 F. Supp. 2d 51 (District of Columbia, 2010)
Anderson v. Islamic Republic of Iran
90 F. Supp. 2d 107 (District of Columbia, 2000)
Asemani v. Islamic Republic of Iran
266 F. Supp. 2d 24 (District of Columbia, 2003)
Mwila v. The Islamic Republic of Iran
33 F. Supp. 3d 36 (District of Columbia, 2014)
Mohammadi v. Islamic Republic of Iran
947 F. Supp. 2d 48 (District of Columbia, 2013)

Cite This Page — Counsel Stack

Bluebook (online)
Zand v. Islamic Republic of Iran, Counsel Stack Legal Research, https://law.counselstack.com/opinion/zand-v-islamic-republic-of-iran-dcd-2022.