Waterman v. IRS (D.D.C.) -- concluding that: (1) IRS properly relied on Exemption 5 to withhold memoranda concerning investigation into plaintiff's alleged misconduct; and (2) IRS relied on Exemption 6 to withhold email addresses and telephone numbers of agency employees.
Elliott v. GSA (D.D.C.) -- holding that agency performed adequate search for records of a building that it did not own.
Summaries of all opinions issued since April 2015 available here.