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Case 1:17-cv-00353-TCB Document 5 Filed 02/01/17 Page 1 of 5 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF GEORGIA ATLANTA DIVISION MOHAMMED ABDULLAH TAWFEEQ, Plaintiff. Case No. 1:17-cv-353 v. U.S. DEPARTMENT OF HOMELAND SECURITY ( DHS ; JOHN F. KELLY, Secretary of DHS; U.S. CUSTOMS AND EMERGENCY MOTION BORDER PROTECTION ( CBP ; TO EXPEDITE KEVIN K. MCALEENAN, Acting PROCEEDINGS Commissioner of CBP; CAREY DAVIS, Port Director, CBP ; ANDY PRYOR, Manager, CBP; SHANA WELLS, Manager, CBP; U.S. DEPARTMENT OF STATE ( Department of State ; THOMAS A. SHANNON, JR., Acting Secretary of State, Department of State. Defendants. PLAINTIFF S EMERGENCY MOTION TO EXPEDITE PROCEEDINGS By and through undersigned counsel, Plaintiff moves for expedited consideration of this matter pursuant to 28 U.S.C. 1657 and Local Rule 65.2, because the issues raised in the complaint rely on Plaintiff s rights under the U.S. Constitution and federal immigration law that are of immediate importance and that could evade review if the regular briefing schedule is not significantly -1-

Case 1:17-cv-00353-TCB Document 5 Filed 02/01/17 Page 2 of 5 accelerated to reflect the expedited timetable set forth in the proposed order. For the reasons outlined in the accompanying Memorandum of Law in support of the Motion, Plaintiff requests that the Court order Defendants to respond to his Complaint no later than 10 days after any order granting this motion, and that the Court set a summary judgment briefing schedule that will end no later than 20 days thereafter. Plaintiff further requests that Defendants be required to promptly respond to this Motion. DATED February 1, 2017 Respectfully submitted, /s/ Theresia Moser Theresia M. Moser Georgia Bar No. 526514 Moser Law Co. 112 Krog Street N.E., Suite 26 Atlanta, GA 30307 Phone: (404 537-5339 Fax: (404 537-5340 tmoser@moserlawco.com Carl W. Hampe (pro hac vice Daniel P. Pierce (pro hac vice Fragomen, Del Rey, Bernsen & Loewy LLP 1101 15th St. NW, Suite 700 Washington, DC 20005 Phone: (202 223-5515 Fax: (202 371-2898 champe@fragomen.com dpierce@fragomen.com Attorneys for Plaintiff -2-

Case 1:17-cv-00353-TCB Document 5 Filed 02/01/17 Page 3 of 5 CERTIFICATE OF FONT AND POINT SELECTION Undersigned counsel hereby certifies, pursuant to L.R. 7.1(D, N.D. Ga., that the foregoing PLAINTIFF S EMERGENCY MOTION TO EXPEDITE PROCEEDINGS AND SUPPORTING MEMORANDUM AND PROPOSED ORDERS were prepared in Times New Roman, 14 point font, which is one of the font and point selections approved in L.R. 5.1, N.D. Ga. /s/ Theresia Moser Theresia M. Moser -3-

Case 1:17-cv-00353-TCB Document 5 Filed 02/01/17 Page 4 of 5 CERTIFICATE OF SERVICE I hereby certify that I have this day mailed a true and correct copy of the within and foregoing PLAINTIFF S EMERGENCY MOTION TO EXPEDITE PROCEEDINGS AND SUPPORTING MEMORANDUM AND PROPOSED ORDERS by overnight Federal Express to each of the following: The Honorable John F. Kelly, Secretary of Homeland Security U.S. Department of Homeland Security 245 Murray Lane, SW Mail Stop 0485 Washington, DC 20528-0485 Kevin K. McAleenan, Acting Commissioner U.S. Customs and Border Protection 1300 Pennsylvania Ave. NW Washington, DC 20229 Carey Davis, Port Director, Andy Pryor, Manager, Shanna Wells, Manager, U.S. Customs and Border Protection, Atlanta Hartsfield/Jackson Int l Airport 157 Tradeport Drive Atlanta, GA 30354 Thomas A. Shannon, Acting Secretary of State U.S. Department of State 2201 C St. NW Washington, DC 20520-4-

Case 1:17-cv-00353-TCB Document 5 Filed 02/01/17 Page 5 of 5 Courtesy copies of the above documents were sent via electronic mail to the following individuals with whom Plaintiff has made initial contact on behalf of the government: Lori Beranek Assistant United States Attorney Northern District of Georgia U.S. Department of Justice Lori.Beranek@usdoj.gov Sheetul S. Wall Office of Immigration Litigation U.S. Department of Justice Sheetul.S.Wall2@usdoj.gov This 1 st day of February 2017. /s/ Theresia Moser Theresia M. Moser -5-

Case 1:17-cv-00353-TCB Document 5-1 Filed 02/01/17 Page 1 of 7 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF GEORGIA ATLANTA DIVISION MOHAMMED ABDULLAH TAWFEEQ, Plaintiff. Case No. 1:17-cv-353 v. U.S. DEPARTMENT OF HOMELAND MEMORANDUM OF LAW SECURITY ( DHS ; JOHN F. KELLY, IN SUPPORT OF Secretary of DHS; U.S. CUSTOMS AND EMERGENCY MOTION BORDER PROTECTION ( CBP ; TO EXPEDITE KEVIN K. MCALEENAN, Acting PROCEEDINGS Commissioner of CBP; CAREY DAVIS, Port Director, CBP ; ANDY PRYOR, Manager, CBP; SHANA WELLS, Manager, CBP; U.S. DEPARTMENT OF STATE ( Department of State ; THOMAS A. SHANNON, JR., Acting Secretary of State, Department of State. Defendants. PLAINTIFF S MEMORANDUM OF LAW IN SUPPORT OF EMERGENCY MOTION TO EXPEDITE PROCEEDINGS By and through undersigned counsel, Plaintiff moves for expedited consideration of this matter pursuant to 28 U.S.C. 1657 and Local Rule 65.2, because the issues raised in the complaint rely on Plaintiff s rights under the U.S. Constitution and federal immigration law that are of immediate importance and -1-

Case 1:17-cv-00353-TCB Document 5-1 Filed 02/01/17 Page 2 of 7 that could evade review if the regular briefing schedule is not significantly accelerated to reflect the expedited timetable set forth in the proposed order. Authority to Expedite 28 U.S.C. 1657 gives this Court the power to expedite the consideration of any action for temporary or preliminary injunctive relief, or any other action if good cause therefor is shown. [G]ood cause is shown if a right under the Constitution of the Untied States or a Federal Statute... would be maintained in a factual context that indicates that a request for expedited consideration has merit. 28 U.S.C. 1657(a. Local Rule 65.2 further permits this Court to waive motion time requirements and grant immediate hearings on any matter requiring such expedited procedure. L.R. 65.2. Defendants Violation of Federal Law Defendants Department of Homeland Security ( DHS and Customs and Border Protection ( CBP continue to inspect returning permanent resident aliens in violation of Section 101(a(13 of the Immigration & Nationality Act ( INA (8 U.S.C. 1101(a(13 by impermissibly applying a discretionary review of whether DHS is in receipt of significant derogatory information with respect to such aliens. To the extent that Defendants contend that derogatory information is present with respect to any such alien, then his or her entry would likely be -2-

Case 1:17-cv-00353-TCB Document 5-1 Filed 02/01/17 Page 3 of 7 barred pursuant to the President s executive order, in violation of the right to a removal hearing pursuant to INA 240 (8 U.S.C. 1229a. In this barred entry scenario, a returning permanent resident alien would furthermore be deprived of his or her constitutional due process rights. In short, INA Section 212(f does not allow the President to trump the presumption in INA 101(a(13(C that returning permanent resident aliens have not legally exited the United States, nor to circumvent the hearing process available to such aliens whom the government believes do not qualify for that presumption. Defendants conduct, however, including toward Plaintiff, has violated this legal regime. Expedited Consideration is Required Plaintiff submits that good cause exists for expedited consideration of this matter for the following reasons: First, Plaintiff s position with CNN requires his ability to travel internationally to those countries targeted by the Executive Order. Compl. 47. His return to the United States on January 29, 2017, was encumbered by Defendant CBP s application of the discretionary entry policy established by the Executive Order, in violation of his right to return to the United States without having to apply for admission, as set forth in INA 101(a(13(C. Compl. 51-54. The -3-

Case 1:17-cv-00353-TCB Document 5-1 Filed 02/01/17 Page 4 of 7 primary CBP inspecting officer in fact told him that he could be denied entry pursuant to the Executive Order. Compl. 51. Second, the Executive Order currently imposes a 90-day period of uncertainty for those in Plaintiffs position. See Executive Order at 3(c. If normal procedural rules are applied in this matter, Plaintiff s dispute could easily be mooted by the Government s taking the full amount of time to respond permitted under the rules. The President would then be free to extend the current Executive Order, and Defendants would be free to mistreat Plaintiff during a subsequent international trip during the period the Order is in effect. The President could also issue a new order with similar effect that Defendants could use in a manner that would be capable of continuous repetition but could evade judicial review. Plaintiff s need to travel internationally during this time period is almost certain, as set forth in the Declaration of Deborah Rayner, Senior Vice President of International Newsgathering, CNN. Exhibit A. There is, however, a well-established doctrine ensuring that review is made available in such situations. See, e.g., Kingdomware Tech., Inc. v. United States, 136 S.Ct. 1969, 1976 (2016 (exception to mootness doctrine for controversy capable of repetition, yet evading review, citing Spencer v. Kemna, 523 U.S. 1, 17, (1998. There is thus good cause to expedite the briefing schedule of this -4-

Case 1:17-cv-00353-TCB Document 5-1 Filed 02/01/17 Page 5 of 7 case because it is capable of repetition, yet absent prompt consideration of the legal issues raised, it could effectively evade judicial review. The most efficient manner to adjudicate Plaintiff s rights in the situation presented by this case is to allow this Court to render a decision within the current 90-day ban period. Absent such a briefing schedule, there is a significant chance that plaintiff s injury will evade review. Finally, this matter presents important statutory and constitutional issues. Judges around the country have acknowledged the fundamental rights raised by Defendants implementation of the Executive Order, issuing numerous orders pausing certain of its applications. See, e.g., Darweesh v. Trump, Case No. 1:17- cv-480 (E.D.N.Y., January 28, 2017; Aziz v. Trump, Case No. 1:17-cv-116 (E.D.Va., January 28, 2017; Tootkaboni v. Trump, 1:17-cv-10154 (D. Mass., January 28, 2017; Abdiaziz v. Trump, 2:17-cv-00135 (W.D. Wash., January 30, 2017. Plaintiff seeks vindication of his due process and statutory rights under the INA that are provided to him as a lawful permanent resident. This is precisely the sort of constitutional or federal statutory controversy where the right under review is best maintained through expedited consideration of its merit. 28 U.S.C. 1657(a. Relief Requested Expedited Briefing -5-

Case 1:17-cv-00353-TCB Document 5-1 Filed 02/01/17 Page 6 of 7 Plaintiff submits that the rights under review can best be maintained through expeditious summary judgment briefing without resort to more drastic temporary restraining order or preliminary injunction procedures. Plaintiff thus requests that the Court order the Government to respond to his Complaint no later than 10 days after any order granting this motion, and that the Court set a summary judgment briefing schedule that will end no later than 20 days thereafter, thus allowing the Court to rule on this matter expeditiously. Counsel to Plaintiff confirms that it has met and conferred with counsel to Defendants, and that no agreement was reached on this motion. Plaintiff requests that the Government be required to promptly respond to this Motion. DATED February 1, 2017 Respectfully submitted, /s/ Theresia Moser Theresia M. Moser Georgia Bar No. 526514 Moser Law Co. 112 Krog Street N.E., Suite 26 Atlanta, GA 30307 Phone: (404 537-5339 Fax: (404 537-5340 tmoser@moserlawco.com Carl W. Hampe (pro hac vice Daniel P. Pierce (pro hac vice Fragomen, Del Rey, Bernsen & Loewy LLP 1101 15th St. NW, Suite 700 Washington, DC 20005 Phone: (202 223-5515 -6-

Case 1:17-cv-00353-TCB Document 5-1 Filed 02/01/17 Page 7 of 7 Fax: (202 371-2898 champe@fragomen.com dpierce@fragomen.com Attorneys for Plaintiff -7-

Case 1:17-cv-00353-TCB Document 5-2 Filed 02/01/17 Page 1 of 2 EXHIBIT A

Case 1:17-cv-00353-TCB Document 5-2 Filed 02/01/17 Page 2 of 2 1

Case 1:17-cv-00353-TCB Document 5-3 Filed 02/01/17 Page 1 of 2 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF GEORGIA ATLANTA DIVISION MOHAMMED ABDULLAH TAWFEEQ, Plaintiff. Case No. 1:17-cv-353 v. U.S. DEPARTMENT OF HOMELAND SECURITY ( DHS ; JOHN F. KELLY, Secretary of DHS; U.S. CUSTOMS AND PROPOSED ORDER BORDER PROTECTION ( CBP ; KEVIN K. MCALEENAN, Acting Commissioner of CBP; CAREY DAVIS, Port Director, CBP ; ANDY PRYOR, Manager, CBP; SHANA WELLS, Manager, CBP; U.S. DEPARTMENT OF STATE ( Department of State ; THOMAS A. SHANNON, JR., Acting Secretary of State, Department of State. Defendants. ORDER REGARDING RESPONSE TO MOTION TO EXPEDITE Pursuant to the Court s authority under 28 U.S.C. 1657 and Local Rule 65.2, the Court hereby orders The Government s Opposition to this motion will be due no later than:. IT IS SO ORDERED. Honorable Timothy C. Batten -1-

Case 1:17-cv-00353-TCB Document 5-3 Filed 02/01/17 Page 2 of 2 United States District Judge -2-

Case 1:17-cv-00353-TCB Document 5-4 Filed 02/01/17 Page 1 of 2 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF GEORGIA ATLANTA DIVISION MOHAMMED ABDULLAH TAWFEEQ, Plaintiff. Case No. 1:17-cv-353 v. U.S. DEPARTMENT OF HOMELAND SECURITY ( DHS ; JOHN F. KELLY, Secretary of DHS; U.S. CUSTOMS AND PROPOSED ORDER BORDER PROTECTION ( CBP ; KEVIN K. MCALEENAN, Acting Commissioner of CBP; CAREY DAVIS, Port Director, CBP ; ANDY PRYOR, Manager, CBP; SHANA WELLS, Manager, CBP; U.S. DEPARTMENT OF STATE ( Department of State ; THOMAS A. SHANNON, JR., Acting Secretary of State, Department of State. Defendants. ORDER SETTING EXPEDITED BRIEFING SCHEDULE Pursuant to the Court s authority under 28 U.S.C. 1657 and Local Rule 65.2, the Court hereby orders (1 The Government s Answer or other responsive pleading will be due no later than:. (2 Cross-motions for Summary Judgment will be due no later than:. (3 Responses to Cross-motions for Summary Judgment will be due no later than:. -1-

Case 1:17-cv-00353-TCB Document 5-4 Filed 02/01/17 Page 2 of 2 IT IS SO ORDERED. Honorable Timothy C. Batten United States District Judge -2-