Case 0:12-cv WJZ Document 52 Entered on FLSD Docket 09/27/2013 Page 1 of 6 IN THE UNITED STATE DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA

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Case 0:12-cv-61735-WJZ Document 52 Entered on FLSD Docket 09/27/2013 Page 1 of 6 BROWARD BULLDOG, INC., a Florida corporation not for profit, and DAN CHRISTENSEN, founder, operator and editor of the BrowardBulldog.com website, vs. Plaintiffs, U.S. DEPARTMENT OF JUSTICE and FEDERAL BUREAU OF INVESTIGATION, Defendants. / IN THE UNITED STATE DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA Case No.: 12-61735-Civ-Zloch THE MIAMI HERALD S MOTION FOR LEAVE TO FILE AMICUS CURIAE BRIEF & SUPPORTING MEMORANDUM OF LAW Miami Herald Media Company, d/b/a the Miami Herald (the Herald ), moves for leave to file an amicus curiae brief in support of Plaintiffs Opposition to Defendant s Motion for Summary Judgment. If permitted, the Herald will jointly file an amicus curiae brief with the Sarasota Herald-Tribune, whose motion for leave is currently pending before this Court. This matter involves access to Federal Bureau of Investigation ( FBI or Bureau ) records related to that agency s investigation of possible terrorist activity in the months leading up to the national tragedy of September 11, 2001. That investigation, handled by the Tampa field office, included activities occurring in Florida. The Herald has covered, and will continue to cover, connections between 9/11 and Florida. Several of the 9/11 hijackers had links to South Florida, the Herald s core coverage area. The paper can offer the Court an additional perspective on the relevant facts and law. Grounds for this motion appear in the following memorandum.

Case 0:12-cv-61735-WJZ Document 52 Entered on FLSD Docket 09/27/2013 Page 2 of 6 Memorandum of Law This Court has the inherent authority to allow an amicus curiae to participate and assist the Court. Resort Timeshare Resales, Inc. v. Stuart, 764 F. Supp. 1495, 1500 (S.D. Fla. 1991) (citations omitted). The Herald s proposed brief will provide useful assistance to this Court in the midst of ongoing litigation, which has not yet been scheduled for trial. Cf. News & Sun- Sentinel Co. v. Cox, 700 F. Supp. 30, 31 (S.D. Fla. 1988) (denying motion for leave to file amicus brief, where motion was filed two weeks after completion of trial). The Herald respectfully requests that this Court grant leave for its amicus curiae brief to be filed within 20 days. The Herald is a daily newspaper of general circulation in South Florida. It has won 20 Pulitzer Prizes for its reporting. The Herald has a special interest in the release of FBI documents concerning investigations in Florida. The Herald has grave concerns about the connections between the 9/11 hijackers and the State of Florida, including what relationship former Sarasota residents may have had with two 9/11 terrorists. More importantly, the Herald would like to examine the thoroughness and outcome of the FBI s investigation, as well as determine whether the FBI misrepresented its findings to Congress or the public. Although the Herald s interests are similar to Plaintiffs, the Herald has its own, independent newsgathering interest in access to the FBI records and wishes to present arguments that are not duplicative of those advanced by Plaintiffs. Of particular concern to the Herald is the FBI s assertion of privacy interests under 5 USC 552(b)(6) and (b)(7)(c). The Herald can assist the Court by providing perspective on the substantial public interest outweighing any privacy interests the FBI has asserted. 2

Case 0:12-cv-61735-WJZ Document 52 Entered on FLSD Docket 09/27/2013 Page 3 of 6 When faced with an assertion that 5 USC 552(b)(7)(C) applies, the requester must produce evidence that would warrant a belief by a reasonable person that the alleged Government impropriety might have occurred. Nat'l Archives & Records Admin. v. Favish, 541 U.S. 157, 174 (2004). The Herald shares Plaintiffs reasonable belief that Government impropriety might have occurred and will provide additional support for Plaintiffs argument on this front. This alleged impropriety, of course, is at the heart of the public interest in this matter and simply outweighs the privacy interests the FBI asserts via both 5 USC 552(b)(6) and (b)(7)(c). The public interest inquiry focuses on whether disclosure would shed light on the operations or activities of government. See Bibles v. Or. Natural Desert Ass n, 519 U.S. 355, 355 (1997); Dobronski v. FCC, 17 F.3d 275, 278-80 (9th Cir. 1994) (finding public interest in uncovering corruption in government agency outweighed minimal privacy interest in employee sick leave records); cf. Fed. Labor Relations Auth. v. U.S. Dep t of Def., 977 F.2d 545, 548 (11th Cir. 1992) (finding government properly invoked Exemption 6 to withhold from union federal government employees home addresses because union did not allege public interest that would shed light on government activities). Former Florida Governor and U.S. Senator Bob Graham, a South Florida resident, has long expressed concern about the pre-9/11 activities occurring in Florida. Senator Graham has alleged that the FBI made false statements to the public about the results of its Sarasota investigation related to those pre-9/11 activities. The results of that investigation were not reported to Congress or mentioned in the 9/11 Commission Report. Documents released in the course of this litigation have revealed information that directly contradicts the FBI s prior public statements asserting that no connections between the Sarasota property and 9/11 exist. The 3

Case 0:12-cv-61735-WJZ Document 52 Entered on FLSD Docket 09/27/2013 Page 4 of 6 Herald has a strong interest in ascertaining which FBI statements to the public are accurate. There may be an explanation without connection to al Qaida, but after 10 years the public deserves answers. See 9/11 s Lingering Questions, Miami Herald, September 16, 2011 (attached). South Florida residents are invested in understanding the results of the FBI s investigation and in scrutinizing the FBI s actions. Seeking and reporting the truth about this investigation and the FBI s conduct related to it remain the core duty of the Herald as a newspaper. The constitutional guarantee of a free press was intended to create a fourth institution outside the Government as an additional check on the three official branches. Justice Potter Stewart, "or of the Press", 26 Hastings L. J. 631 (1975), reprinted in 50 Hastings L.J. 705, 708 (1999). Even if the FBI investigation concluded no links existed between the Sarasota property and 9/11, this finding would not diminish the public s right to scrutinize the adequacy of the government s investigation and subsequent actions to determine for itself the propriety of its government s behavior. See Nat l Ass n. of Atomic Veterans v. Dir., Def. Nuclear Tech., 583 F. Supp. 1483, 1487 (D.D.C. 1984) (duplication of government s prior investigation does not diminish FOIA s goal of allowing public to decide for itself whether government action is proper ). That is the very purpose of FOIA. The Herald s interest in and perspective on this matter justify the exercise of the Court s inherent authority to permit amicus participation. WHEREFORE, the Herald respectfully requests this Court grant it leave to file, within 20 days of this Court s order on this issue, an amicus curiae brief in support of the Plaintiffs Opposition to Defendant s Motion for Summary Judgment. 4

Case 0:12-cv-61735-WJZ Document 52 Entered on FLSD Docket 09/27/2013 Page 5 of 6 LOCAL RULE 7.1 CERTIFICATE OF GOOD FAITH The undersigned contacted all parties via telephone or email in a good faith effort to resolve the issues raised in the motion. Plaintiffs Broward Bulldog, Inc., and Dan Christensen consent to the granting of this motion and the filing of an amicus curiae brief by the Herald. The Herald has been unable to resolve the issues raised with Defendants U.S. Department of Justice and Federal Bureau of Investigation; they do not agree to this motion. Respectfully submitted, THOMAS & LOCICERO PL s/ Carol Jean LoCicero Carol Jean LoCicero Florida Bar No. 603030 Rachel E. Fugate Florida Bar No. 144029 601 S. Boulevard Tampa, FL 33602 clocicero@tlolawfirm.com rfugate@tlolawfirm.com secondary email: tgilley@tlolawfirm.com Telephone: (813) 984-3060 Facsimile: (813) 984-3070 Attorneys for the Sarasota Herald 5

Case 0:12-cv-61735-WJZ Document 52 Entered on FLSD Docket 09/27/2013 Page 6 of 6 CERTIFICATE OF SERVICE I HEREBY CERTIFY that on September 27, 2013, I electronically filed with the Clerk of Court using CM/ECF The Sarasota Herald Tribune s Motion For Leave To File Amicus Curiae Brief & Supporting Memorandum Of Law. I also certify that the same document is being served this day on all counsel of record via transmission of Notices of Electronic Filing generated by CM/ECF. s/ Carol Jean LoCicero Attorney 6

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