Woodard v. USMS (D.D.C.) -- following in camera review of records concerning agency’s use of cell phone technology in apprehending plaintiff for capital murder, finding that agency properly redacted names of law enforcement officers under Exemption 7(C) and that its use of Exemption 7(C), 7(E), 7(D), and 7(F) to redact or fully withhold other records was justified in some instances and not others.
Summaries of all published opinions issued since April 2015 are available here.