Kowal v. DOJ (D.D.C.) -- on third round of summary judgment, concluding that DEA properly relied on Exemption 7(E) to withhold portions of DEA’s Agents’ Manual.
Ctr. for Medical Progress v. HHS (D.D.C.) -- determining that: (1) agency properly invoked Exemption 4 to withhold five categories of disputed records pertaining to University of Pittsburgh’s fetal tissue-related grant application to NIH, and agency sufficiently demonstrated that disclosure would cause foreseeable harm; and (2) agency properly withheld records identifying university’s employees, third-party supporters, and clients pursuant to Exemption 6 due to potential violence and harassment.
Summaries of all published opinions issued since April 2015 are available here.