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Case 102-cv-02307-JG -SMG Document 753 Filed 01/12/11 Page 1 of 6 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF NEW YORK ------------------------------------------------------X IBRAHIM TURKMEN, et al., Plaintiffs -against- JOHN ASHCROFT, et al., 02-cv-2307 (JG) (SG) Defendants. ------------------------------------------------------X DEFENDANT ROBERT MUELLER S MEMORANDUM JOINING IN ATTORNEY GENERAL ASHCROFT S REPLY MEMORANDUM IN SUPPORT OF MOTION TO DISMISS RONALD C. MACHEN JR. United States Attorney R. CRAIG LAWRENCE Assistant United States Attorney Special Department of Justice Attorney U.S. Attorney s Office Judiciary Center Building 555 4 th Street, N.W. Washington, D.C. 20530 Telephone (202) 514-7159 Fax (202) 514-8780 Email craig.lawrence@usdoj.gov DATE January 12, 2011 Attorneys for Robert Mueller, Director, Federal Bureau of Investigation, in his individual capacity

Case 102-cv-02307-JG -SMG Document 753 Filed 01/12/11 Page 2 of 6 Director Robert Mueller of the Federal Bureau of Investigation hereby joins in the REPLY MEMORANDUM OF LAW IN SUPPORT OF FORMER ATTORNEY GENERAL JOHN ASHCROFT S MOTION TO DISMISS. By motion and memorandum in support, former Attorney General Ashcroft filed a motion to dismiss plaintiffs Fourth Amended Complaint in which Director Mueller joined. Following plaintiffs opposition, he has filed a reply. The facts alleged and the claims against General Ashcroft and Director Mueller in the Fourth Amended Complaint (FAC) reflect no material differences. Consequently, the defenses advanced by General Ashcroft and further articulated in his reply apply equally to Director Mueller and he joins in General Ashcroft s Reply. The only different allegations against Director Mueller contend that he ordered that all tips that the FBI received related to the September 11 attacks be investigated (FAC 41), and that he directed that CIA name traces be requested before clearing persons of interest ( FAC 57, 168, 262). Otherwise, the allegations of the Fourth Amended Complaint generally treat General Ashcroft and Director Mueller together. 1. Special factors counsel against creation of a Bivens remedy in the unique context of the national emergency that arose as a result of the September 11 th attacks. Bivens v. Six Unknown Named Agents, 403 U.S. 388 (1971). First, the comprehensive remedial scheme governing the situation of aliens that Congress created in the Immigration and Nationality Act constitutes a special factor that counsels against creation of a Bivens remedy. Second, in the unique national emergency situation created by the September 11 th attacks, the issues dealing with the treatment of aliens in the context of that national emergency itself constitutes a special factor counseling

Case 102-cv-02307-JG -SMG Document 753 Filed 01/12/11 Page 3 of 6 hesitation for courts in the creation of a Bivens remedy. Consequently, this Court should decline to create a Bivens remedy in this unprecedented context. See Wilkie v. Robbins, 551 U.S. 537, 550 (2007); Arar v. Ashcroft, 585 F.3d 559, 571 (2d Cir. 2009)(en banc). 2. a. Director Mueller, along with General Ashcroft, is entitled to qualified immunity because, based on the facts alleged in the FAC, plaintiffs fail to plead the Director s personal involvement in the alleged constitutional violations. In none of the claims - -conditions of confinement, purposeful discrimination, restricting free exercise religion during confinement, communications blackout, and conspiracy- -do plaintiffs plead facts that allegedly establish Director Muller s personal involvement. Compare, Ashcroft v. Iqbal, 129 S.Ct. 1937, 1949 (2009). At most the FAC alleges that Director Mueller, as FBI Director, headed the nationwide law enforcement investigation in the national emergency following the 9/11 attacks. See id. b. Director Mueller is also protected by qualified immunity because in the unique and unprecedented circumstances of the national emergency and the nationwide investigation following the terrorist attacks of September 11, 2001, law enforcement confronted a context it had never before faced. Responding to the national emergency was uncharted territory. Therefore, claims that Director Mueller ordered that the nationwide investigation be run out of FBI Headquarters rather than independently out of each FBI Field Office (Plaintiff s Opposition to Defendants Motions to Dismiss (Pl. Opp.) at 27) to keep it centralized, or that he ordered that all tips be investigated (Pl. Opp. at 33) is hardly surprising. It is certainly not a violation of plaintiffs constitutional -2-

Case 102-cv-02307-JG -SMG Document 753 Filed 01/12/11 Page 4 of 6 rights, much less clearly established ones. Nor is it a constitutional violation, especially in the context of the extraordinary national security context, to request a CIA name trace (FAC 57) before releasing or deporting illegal aliens. Ultimately, there was no law that addressed the issues raised by the FAC in the unique context of the national emergency following the September 11 terrorist attacks on our shores. No cases put Director Mueller on notice that his conduct in the investigation of the national emergency in the situation he confronted was in any way constitutionally infirm. E.g., Saucier v. Katz, 533 U.S. 194, 202 (2001). Conclusion For the foregoing reasons and those presented in former Attorney General s Motion to Dismiss and Reply and Memoranda in Support, plaintiffs Fourth Amended Complaint, as against Director Mueller, should be dismissed. Respectfully submitted, RONALD C. MACHEN JR. United States Attorney District of Columbia By /s/ R. CRAIG LAWRENCE (RL 4567) Assistant United States Attorney U.S. Attorney s Office Judiciary Center Building 555 4 th Street, N.W. Washington, D.C. 20530 (202) 514-7159 Special Department of Justice Attorneys Appearing Pursuant to 28 U.S.C. 515 Attorneys for Director Robert Mueller of the Federal Bureau of Investigation, in his individual capacity -3-

Case 102-cv-02307-JG -SMG Document 753 Filed 01/12/11 Page 5 of 6 CERTIFICATE OF SERVICE I HEREBY CERTIFY that on January 12, 2011, I electronically filed the foregoing Defendant Robert Mueller s Memorandum Joining In Attorney General Ashcroft s Motion To Dismiss and Memorandum of Law In Support the Clerk of Court using the CM/ECF system which will send a notification of such filing ( NEF ) to counsel as follows Rachel Meeropol James Keefe Michael Winger 1399 Franklin Ave. Center for Constitutional Rights Garden City, NY 11753 666 Broadway 7 th Floor Jkeefe@nylawnet.com New York, NY 10012 RachelM@ccrjustice.org MichaelLWinger@gmail.com William Alden McDaniel, Jr. Law Offices of William Alden McDaniel, Jr. Dennis Barghaan 118 West Mulberry St. Assistant United States Attorney Baltimore, MD 21201 Eastern District of Virginia WAM@wamcd.com 2100 Jamieson Ave. Dennis.Barghaan@usdoj.gov -4-

Case 102-cv-02307-JG -SMG Document 753 Filed 01/12/11 Page 6 of 6 Alan N. Taffet Debra Roth Joshua C. Klein Shaw Bransford & Roth, PC Duval & Stachenfeld LLP 1100 Connecticut Ave. NW Suite 900 300 East 42 nd St. Washington, D.C. 20036 New York, NY 10017 Droth@shawbrasford.com ataffet@dsllp.com jklien@dsllp.com Michael L. Martinez David Bell Crowell & Moring 1001 Pennsylvania Ave., N.W. Washington, D.C. 20004-2595 Mmartinez@crowell.com Dbell@crowell.com /s/ R. Craig Lawrence Assistant United States Attorney U.S. Attorney s Office Judiciary Center Building 555 4 th Street, N.W. Washington, D.C. 20530-5-