Google Inc. et al v. Egger et al

Filing 333

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Google Inc. et al v. Egger et al Doc. 333 Att. 1 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK _______________________________________ | CENTER FOR CONSTITUTIONAL RIGHTS, | TINA M. FOSTER, GITANJALI S. GUTIERREZ, | SEEMA AHMAD, MARIA LAHOOD, | RACHEL MEEROPOL, | | Plaintiffs, | | v. | | GEORGE W. BUSH, | President of the United States; | NATIONAL SECURITY AGENCY, | LTG Keith B. Alexander, Director; | DEFENSE INTELLIGENCE AGENCY, | LTG Michael D. Maples, Director; | CENTRAL INTELLIGENCE AGENCY, | Porter J. Goss, Director; | DEPARTMENT OF HOMELAND SECURITY, | Michael Chertoff, Secretary; | FEDERAL BUREAU OF INVESTIGATION, | Robert S. Mueller III, Director; | JOHN D. NEGROPONTE, | Director of National Intelligence, | | Defendants. | _______________________________________| Case No. 06-cv-313 Judge Gerard E. Lynch Magistrate Judge Kevin N. Fox NOTICE OF MOTION PLEASE TAKE NOTICE that on the ____ day of March, 2006, at ___ a.m. or as soon thereafter as counsel may be heard, attorneys for Plaintiffs The Center for Constitutional Rights, Tina M. Foster, Gitanjali S. Gutierrez, Seema Ahmad, Maria LaHood, and Rachel Meeropol, shall move, before the Honorable Judge Gerard E. Lynch, U.S.D.J., United States Courthouse, Room ___, 500 Pearl Street, New York, New York, 10007, for the Dockets.Justia.com entry of an Order in the form submitted herewith, granting to Plaintiffs partial summary judgment and other relief in the above-captioned action. PLEASE TAKE FURTHER NOTICE that in support of this motion, Plaintiffs shall rely upon the this Notice of Motion, Memorandum of Law in Support of Plaintiffs' Motion for Partial Summary Judgment, the Statement of Material Facts Not in Dispute, and the Affirmation of William Goodman together with its Exhibits, submitted herewith. (Counsel for Plaintiffs have conferred with counsel for Defendants, Tony Coppelino, who consents to the submission of an overlong Memorandum of Law on condition that Plaintiffs consent to a similar extension to 45 pages for Defendants' response brief.) PLEASE TAKE FURTHER NOTICE that counsel for Plaintiffs hereby request oral argument. s/Shayana Kadidal William Goodman [WG-1241] Shayana Kadidal [SK-1278] Michael Ratner [MR-3357] CENTER FOR CONSTITUTIONAL RIGHTS 666 Broadway, 7th Floor New York, NY 10012-2317 (212) 614-6427 CCR Cooperating Counsel: David Cole c/o Georgetown University Law Center 600 New Jersey Avenue, N.W. Washington, DC. 20001 (202) 662-9078 Michael Avery J. Ashlee Albies NATIONAL LAWYERS GUILD c/o Suffolk Law School 120 Tremont Street Boston, MA 02108 (617) 573-8551 counsel for Plaintiffs March 9, 2006 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK _______________________________________ | CENTER FOR CONSTITUTIONAL RIGHTS, | TINA M. FOSTER, GITANJALI S. GUTIERREZ, | SEEMA AHMAD, MARIA LAHOOD, | RACHEL MEEROPOL, | | Plaintiffs, | | v. | | GEORGE W. BUSH, | President of the United States; | NATIONAL SECURITY AGENCY, | LTG Keith B. Alexander, Director; | DEFENSE INTELLIGENCE AGENCY, | LTG Michael D. Maples, Director; | CENTRAL INTELLIGENCE AGENCY, | Porter J. Goss, Director; | DEPARTMENT OF HOMELAND SECURITY, | Michael Chertoff, Secretary; | FEDERAL BUREAU OF INVESTIGATION, | Robert S. Mueller III, Director; | JOHN D. NEGROPONTE, | Director of National Intelligence, | | Defendants. | _______________________________________| ORDER Judge Gerard E. Lynch 06 Civ 00313 (GEL) (KNF) This court hereby DECLARES that Defendant's program of warrantless surveillance is unlawful. Furthermore, it is hereby: ORDERED that Defendants cease conducting their program of warrantless surveillance; and it is further ORDERED that Defendants disclose to Plaintiffs all unlawful surveillance of Plaintiffs' communications carried out pursuant to the warrantless surveillance program; and it is further ORDERED that all Defendants turn over to Plaintiffs all information and records in their possession relating to Plaintiffs that were acquired through the warrantless surveillance program or were the fruit of surveillance under the program, and subsequently destroy any such information and records in Defendants' possession; and it is further ORDERED that plaintiffs be awarded costs, including an award of attorneys' fees under the Equal Access to Justice Act, 28 U.S.C. § 2412(d)(1)(A). Hon. Gerard E. Lynch United States District Judge Dated:

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