Usher v. DOJ (D.D.C.) -- following in-camera review of 9 pages of records pertaining to antitrust proceedings against plaintiff, finding that DOJ improperly redacted portions of FBI interview notes under Exemption 3 in conjunction with Federal Rule of Criminal Procedure 6(e); specifically, the court held that only statements explicitly identifying documents as grand jury exhibits could be withheld—not redacted content consisting of witness’s discussions about public market data or trading activity, which did not implicate a secret aspect of the grand jury’s investigation.
Summaries of all published opinions issued in 2025 are available here. Earlier opinions are available for 2024 and from 2015 to 2023.