Richards v. NSA (W.D. Ark.) -- determining that NSA properly relied on Exemption 1 (and alternatively Exemption 3) in response to pro se plaintiff’s request for records relating to NSA's collection of intelligence on himself and the agency’s “development of ‘mind control, directed-energy weapons, neural interfacing, remote influence, or behavioral engineering.’”
Summaries of published opinions issued in 2026 are available here. Earlier opinions are available for 2025, 2024, and from 2015 to 2023.