N.D.Cal.: FISA violated, state secrets privilege no defense

An Islamic organization had its telephone calls with its attorneys intercepted allegedly in violation of FISA. The court grants summary judgment against the government defendants for violating FISA, and the state secrets privilege was not shown to apply, at least without a warrant. Al-Haramain Islamic Foundation, Inc. v. Obama, 06-cv-01791-VRW (N.D. Cal. March 31, 2010). See discussion on www.eff.org, and its news update: Court Rejects Government’s Executive Power Claims and Rules That Warrantless Wiretapping Violated Law:

The government’s overreaching claim of unbridled executive power finally backfired today in the Al-Haramain case. As the court wrote in its order, “Under defendants’ theory, executive branch officials may treat FISA as optional and freely employ the SSP [state secrets privilege] to evade FISA, a statute enacted specifically to rein in and create a judicial check for executive branch abuses of surveillance authority.”

The court, although noting the government’s “impressive display of argumentative acrobatics,” flatly rejected this theory. “Defendants could readily have availed themselves of the court’s processes to present a single, case-dispositive item of evidence at one of a number of stages of this multi-year ligitation: a FISA warrant. They never did so.” Therefore, “for purposes of this litigation, there was no such warrant for the electronic surveillance of any of plaintiffs,” and the surveillance therefore violated FISA.

Defendant was stopped for a traffic offense and was making furtive movements. When he got out, he said that he was being shot at, and that gave probable cause to search his car. United States v. Synkiew, 2010 U.S. Dist. LEXIS 30082 (D. Minn. March 8, 2010).*

Defendant was stopped, and a gun was seen in the front seat. It was seized. In the car was a backpack defendant carried to the car, and in it was a handgun. The handgun was lawfully seized by a search incident. United States v. Tipton, 2009 U.S. Dist. LEXIS 126303 (E.D. Tenn. November 25, 2009).*

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