Yagman v. Pompeo

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Plaintiff filed suit against defendants under the Freedom of Information Act (FOIA), 5 U.S.C. 552, seeking records identifying CIA personnel or affiliates that have engaged in torture. The Ninth Circuit reversed the district court's dismissal of the complaint for lack of subject matter jurisdiction, holding that, although the FOIA request failed to reasonably describe the records sought, this failure bears on the merits of plaintiff's claim rather than the district court's subject matter jurisdiction. In this case, the district court erred by concluding that plaintiff's request constituted a question rather than a request for records; plaintiff cannot compel defendants to disclose documents on the basis of his vague request; but, ultimately, any failure to exhaust did not bear on the district court's subject matter jurisdiction. The panel remanded for further proceedings. View "Yagman v. Pompeo" on Justia Law