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Full text of "gov.uscourts.dcd.116163"

Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 1 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
IN RE: ) 

) Misc. No. 08-442 (TFH) 

GUANTANAMO BAY ) 

DETAINEE LITIGATION ) Civil Action No . 04-CV- 1 254 (HHK) 

) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 

counsel for the respondents states the following status of this case: 

1) Mohamed Mohamed Hassan Odaini, a national of Yemen, is the detainee- 
petitioner in this habeas corpus case. The petitioner is currently detained by the Armed Forces of 
the United States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 681. 

2) The Protective Order has been entered in this case. 

3) The detainee is represented in this petition by a next friend. The Protective Order 
was entered in this case, so counsel has had the opportunity to visit the petitioner and receive 
direct authorization to pursue the action. Because such authorization has not been filed, 
however, it is unknown whether the petitioner consents to this matter proceeding. Counsel 
should be required to demonstrate direct authorization from the petitioner before merits-related 
matters are scheduled in this case. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has been approved 
for release or transfer from Guantanamo Bay by the Department of Defense. The petitioner has 
not been charged with crimes triable by military commission under the Military Commissions 
Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 7/27/2004. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



000061 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 2 of 61 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



V 



/s/ Judry L. Subar 



JOSEPH H. HUNT (D.C. Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470' 



Attorneys for Respondents 



000062 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 3 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
IN RE: ) 



) Misc. No. 08-442 (TFH) 

GUANTANAMO BAY ) 

DETAINEE LITIGATION ) Civil Action No. 04-CV (PLF) 

) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Ibrahim Ahmed Mahmoud Al Qosi, a national of Sudan, is the detainee-petitioner 
in this habeas corpus case. The petitioner is currently detained by the Armed Forces of the 
United States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 54. 

2) The Protective Order has not been entered in this case. 

3) Although styled as a petition directly authorized by the petitioner, no such direct 
authorization has been filed with the Court. Because such authorization has not been filed, it is 
unknown whether the petitioner consents to this matter proceeding. Counsel should be required 
to demonstrate direct authorization from the petitioner before merits-related matters are 

\ 
s 

scheduled in this case. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 1 1/08/2004. The 
respondent has not filed the CSRT record, styled as a "factual return," in this case. 



000063 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 4 of 61 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



/s Judry L. Subar 



JOSEPH H. HUNT (DG. Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

r 

Washington, DC 20530 
Tel: (202)514-3755 
Fax: (202)616-8470 



Attorneys for Respondents 



000064 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 5 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



IN RE: 

GUANTANAMO BAY 
DETAINEE LITIGATION 



Misc. No. 08-442 (TFH) 

Civil Action No. 04-CV-2022 (PLF) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 

counsel for the respondents states the following status of this case: 

1) Saifullah Paracha, a national of Pakistan, is the detainee-petitioner in this habeas 
corpus case. The petitioner is currently detained by the Armed Forces of the United States at 
Guantanamo Bay, Cuba, and is identified by Internment Serial Number 1094. 

2) The Protective Order has been entered in this case. 

3) The detainee-petitoner has provided a direct authorization of representation. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 1 1/17/2004. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



Dated: July 18,2008 Respectfully Submitted, 

GREGORY G. KATS AS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



000065 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 6 of 61 



/s Judrv L. Subar 



JOSEPH H. HUNT (D.C. Bar No. 431134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000066 



Case 1 :05-cv-01458-UNA-AK Document 47-3 Filed 07/18/2008 Page 7 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



IN RE: 

GUANTANAMO BAY 
DETAINEE LITIGATION 



Misc. No. 08-442 (TFH) 

Civil Action No. 04-CV-2035 (GK) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, 
undersigned counsel for the respondents states the following status of this case: 

1) Jarallah Al-Marri, a national of Qatar, is the detainee-petitioner in this 
habeas corpus case. The petitioner is currently detained by the Armed Forces of the 
United States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 
334. 

2) The Protective Order has been entered in this case. 

3) The petitioner-detainee has provided a direct authorization of 
representation. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the 
Department of Defense determined the petitioner to be an enemy combatant. The 
petitioner has been approved for release or transfer from Guantanamo Bay by an 
Administrative Review Board. The petitioner has not been charged with crimes triable 
by military commission under the Military Commissions Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 1 1/17/2004. 
The respondent has filed the CSRT record, styled as a "factual return " in this case. 



000067 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 8 of 61 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 



JOHN C. O'QUINN 

Deputy Assistant Attorney General 

I si Judrv L. Subar 

Ti^Ct?t>Tjr TJT TJTT TXTHT fT\ r* D«~ "\T~ /1Q11Q/1\ 

jkj&x^x xi ix. xil^in i yxy.\^. jjoi inu. -t*j 1 1 jt / 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 

Attorneys for Respondents 



000068 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 9 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
IN RE: ) 

) Misc. No. 08-442 (TFH) 

GUANTANAMO BAY" ) 

DETAINEE LITIGATION ) Civil Action No. 04-CV-2046 (CKK) 

. ) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Ahcene Zemiri, a national of Algeria, is the detainee-petitioner in this habeas 

s 

\ 

corpus case. The petitioner is currently detained by the Armed Forces of the United States at 
Guantanamo Bay, Cuba, and is identified by Internment Serial Number 533. 

2) The Protective Order has been entered in this case. 

3) The detainee has directly authorized this petition. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 1 1/19/2004. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



000069 



\ 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 1 of 61 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



/s/ Judry Subar 



JOSEPH H. HUNT (D.C. Bar No. 43 1 1 34) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000070 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 1 1 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



IN RE: 

GUANTANAMO BAY 
DETAINEE LITIGATION 



Misc. No. 08-442 (TFH) 

Civil Action No. 04-CV-2215 (RMC) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Shaker Abdurraheem Aamer, a national of Saudi Arabia, is the detainee-petitioner 
in this habeas corpus case. The petitioner is currently detained by the Armed Forces of the 
United States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 239. 

2) The Protective Order has been entered in this case. 

3) The petitoner-detainee has directly authorized this petition 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has been approved 
for release or transfer from Guantanamo Bay by the Department of Defense. The petitioner has 
not been charged with crimes triable by military commission under the Military Commissions 
Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 12/22/2004. The 
respondents have not filed the CSRT record, styled as a "factual return," in this case. 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



000071 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 1 2 of 61 



/s/ Judry Subar 



JOSEPH H. HUNT (D.C. Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

uiiiLcu oiaics jucpaiuiicnt ui juoli^c 

Civil Division, Federal Programs Branch 
20 Massachusetts Avenue N.W. 
Washington, DC 20530 
Tel: (202)514-3755 
Fax: (202)616-8470 

Attorneys for Respondents 



000072 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 1 3 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



IN RE: 

GUANTANAMO BAY 
DETAINEE LITIGATION 



Misc. No. 08-442 (TFH) 

Civil Action No. 05-CV-0023 (RWR) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Hani Saleh Rashid Abdullah, a national of Yemen, is the detainee-petitioner in 
this habeas corpus case. The petitioner is currently detained by the Armed Forces of the United 
States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 841 . 

2) The Protective Order has been entered in this case. 

3) Petitioner's counsel has provided a declaration stating that Petitioner Abdullah 
has authorized counsel to pursue this matter. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 1/7/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 

Assistant Attorney General 

JOHN C. O'QUINN 



000073 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 1 4 of 61 



Deputy Assistant Attorney General 



/S/ Judrv Subar 



JOSEPH H. HUNT (D.C. Bar No. 431 134) 
VINCENT M. GARVEY (D.C. Bar No. 127191) 
JUDRY L. SUBAR 
TERRY M. HENRY 
ANDREW I. WARDEN 

TTk A TTT T"l A TTnTV\T 

r/\UJL £,. /VtUttiUN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000074 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 1 5 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
IN RE: ) 



) Misc. No. 08-442 (TFH) 

GUANTANAMO BAY ) 

DETAINEE LITIGATION ) Civil Action No. 05-CV-0247 (HHK) 

) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Mahmood Salim Al-Mohammed, a national of Syria, is the detainee-petitioner in 
this habeas corpus case. The petitioner is currently detained by the Armed Forces of the United 
States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 537. 

2) The Protective Order has been entered in this case. 

•J 

3) The detainee is represented in this petition by a next friend. The Protective Order 
was entered in this case, so counsel has had the opportunity to visit the petitioner and receive 
direct authorization to pursue the action. Because such authorization has not been filed, 
however, it is unknown whether the petitioner consents to this matter proceeding. Counsel 
should be required to demonstrate direct authorization from the petitioner before merits-related 
matters are scheduled in this case. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 2/2/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



000075 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 1 6 of 61 



Dated: July 18,2008 Respectfully Submitted, 

GREGORY G KATSAS 
Assistant Attorney General 



JOHN C. O'QUINN 

Deputy Assistant Attorney General 

/s/ Judrv Subar 

JOSEPH H, HUNT (D.C. Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 

Attorneys for Respondents 



000076 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 1 7 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



IN RE: 

GUANTANAMO BAY 
DETAINEE LITIGATION 



Misc. No. 08-442 (TFH) 

Civil Action Nos. 05-CV-0270 (JR); 
05-CV-0833 (JR) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

\ 

1) Sherif el-Mashad, a national of Egypt, is the detainee-petitioner in this habeas 
corpus case. The petitioner is currently detained by the Armed Forces of the United States at 
Guantanamo Bay, Cuba, and is identified by Internment Serial Number 190. This petitioner 
appears in more than one petition pending before this Court, as captioned above. The 
respondents submit that the first petition filed is operative, and thus all later-filed petitions 
should be dismissed in accordance with the Joint Status Report filed with this Court. 

2) The Protective Order has been entered in this case. 

3) The detainee is represented in this petition by a next friend. The Protective Order 
was entered in this case, so counsel has had the opportunity to visit the petitioner and receive 
direct authorization to pursue the action. Because such authorization has not been filed, 
however, it is unknown whether the petitioner consents to this matter proceeding. Counsel 
should be required to demonstrate direct authorization from the petitioner before merits-related 
matters are scheduled in this case. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 



1 Petitioner is identified as Ismail Al-Mashad in the petition filed mAlladeen v. Bush, 05-cv-833 
(JR). 



000077 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 1 8 of 61 



petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 2/4/2005. The 
respondent has filed the; CSRT record, styled as a "factual return," in this case. On April 5, 2007 
(dkt. no. 84, No. 05-CV-270 (JR)), the Court dismissed this case for lack of subject matter 
jurisdiction. On April 18, 2007 (dkt. nos. 85, 86), petitioner filed a motion seeking 
reconsideration of the order of dismissal and a stay-and-abey order or, in the alternative, transfer 
to the Court of Appeals. On March 6, 2008 (dkt. no. 93), the Court denied that motion without 
prejudice. Petitioner appealed, and on July 9, 2008, the Court of Appeals vacated the order of 
dismissal and remanded the case to this Court. El-Mashadv. Bush, No. 08-5101 (D.C. Cir. July 
9,2008). 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



I si Judry Subar 



JOSEPH H. HUNT (D.C. Bar No. 431134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



000078 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 1 9 of 61 



Attorneys for Respondents 



000079 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 20 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
IN RE: ) 



) Misc. No. 08-442 (TFH) 
GUANTANAMO BAY ) 

DETAINEE LITIGATION ) Civil Action Nos. 05-CV-0270 (JR); 
) 05-CV-0833 (JR); 05-CV-2386 (RBW) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Adel Fattouh Aly Ahmed Algazzar, a national of Egypt, is the detainee-petitioner 
in this habeas corpus case. The petitioner is currently detained by the Armed Forces of the 
United States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 369. 
This petitioner appears in more than one petition pending before this Court, as captioned above. 1 
The respondents submit that the first petition filed, No. 05-CV-270 (JR), is operative, and thus 
the later-filed No. 05-CV-2386 (RBW) petition should be dismissed in accordance with the Joint 
Status Report filed with this Court. 

2) The Protective Order has been entered in this case. 

3) The detainee has directly authorized this petition. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has been approved 
for release or transfer from Guantanamo Bay by the Department of Defense. The petitioner has 
not been charged with crimes triable by military commission under the Military Commissions 
Act of 2006. 



1 Petitioner is identified as Ahmed Abdul Rahman in the petition filed in Alladeen v. Bush, No. 
05-cv-0833, and the Court previously consolidated No. 05-CV-833 into No. 05-CV-270. See 
Order (Dec. 7, 2005) (dkt. no. 24) in No. 05-CV-833. Petitioner is identified as Abdurahman 
LNU (Last Name Unknown) in the petition filed in Mohammon v. Bush, No. 05-cv-2386 (RBW). 



000080 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 21 of 61 



5) The petitioner filed this petition for a writ of habeas corpus on 2/4/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. On April 5, 2007 
(dkt. no. 84), the Court dismissed this case for lack of subject matter jurisdiction. On April 18, 

2007 (dkt. nos. 85, 86), petitioner filed a motion seeking reconsideration of the order of dismissal 
and a stay-and-abey order or, in the alternative, transfer to the Court of Appeals. On March 6, 

2008 (dkt. no. 93), the Court denied that motion without prejudice. Petitioner appealed, and on 
July 9, 2008, the Court of Appeals vacated the order of dismissal and remanded the case to this 
Court. El-Mashadv. Bush, No. 08-5101 (D.C. Cir. July 9, 2008). 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



I si Judry Subar 



JOSEPH H. HUNT (D.C. Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N. W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000081 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 22 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
IN RE: ) 

) Misc. No. 08-442 (TFH) 

GUANTANAMO BAY ) 

DETAINEE LITIGATION ) Civil Action No. 05-CV-0280 (GK) 

. ^ ) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Muhammad Al-Adahi, a national of Yemen, is the detainee-petitioner in this 
habeas corpus case. The petitioner is currently detained by the Armed Forces of the United 
States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 33. 

2) The Protective Order has been entered in this case. 

3) The detainee was originally represented in this petition by a next friend. The 
Protective Order was entered in this case, so counsel has had the opportunity to visit the 
petitioner and receive direct authorization to pursue the action. The government has in its 
possession a document signed by the petitioner in which he agrees to be represented in his 
habeas corpus petition before the U.S. District Court for the District of Columbia by a lawyer in 
the employ of Sutherland Asbill & Brennan LLP. It is unclear, however, whether this 
authorization was ever filed with this Court. Because such authorization may not have been 
filed, it is unknown whether the petitioner consents to this matter proceeding. Counsel should be 
required to demonstrate direct authorization from the petitioner on the record before merits- 
related matters are scheduled in this case. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 



000082 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 23 of 61 



petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 2/7/2005 . The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



Dated: July 1 8, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



/S/ Judry Subar 



JOSEPH H. HUNT (D.C. Bar No. 43 1 1 34) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000083 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 24 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



- ) 
INRE: ) 



) Misc. No. 08-442 (TFH) 

GUANTANAMO BAY ) 

DETAINEE LITIGATION ) Civil Action No. 05-CV-0280 (GK) 

) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Muhammad Ali Abdullah Bawazir, a national of Yemen, is the detainee-petitioner 
in this habeas corpus case. The petitioner is currently detained by the Armed Forces of the 
United States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 440. 

2) The Protective Order has been entered in this case. 

3) The detainee has directly authorized this petition. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 2/7/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



Dated: July 18,2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



000084 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 25 of 61 



/S/ Judrv Subar 



JOSEPH H. HUNT (D.C. Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

TT-Ii.J Pi.i«„ TA t— i. -■£* T 1.1 

uliiieu duiics i^epamiicm i_u jusuuc 

Civil Division, Federal Programs Branch 
20 Massachusetts Avenue N.W. 
Washington, DC 20530 
Tel: (202)514-3755 
Fax: (202)616-8470 



Attorneys for Respondents 



000085 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 26 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



IN RE: 

GUANTANAMO BAY 
DETAINEE LITIGATION 



Misc. No. 08-442 (TFH) 

Civil Action No. 05-CV-0280 (GK) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Suleiman Awadh bin Aqil Al-Nahdi, a national of Yemen, is the detainee- 
petitioner in this habeas corpus case. The petitioner is currently detained by the Armed Forces of 
the United States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 511. 

2) The Protective Order has been entered in this case. 

3) The detainee has directly authorized this petition. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has been approved 
for release or transfer from Guantanamo Bay by the Department of Defense. The petitioner has 
not been charged with crimes triable by military commission under the Military Commissions 
Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 2/7/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 

Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



000086 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 27 of 61 



/S/ Judrv Subar 



JOSEPH H. HUNT (D.C. Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000087 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 28 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



IN RE: 

GUANTANAMO BAY 
DETAINEE LITIGATION 



Misc. No. 08-442 (TFH) 

Civil Action No. 05-CV-0280 (GK) 



/ 



STATUS REPORT 

/ Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Fahmi Salem Al-Assani, a national of Yemen, is the detainee-petitioner in this 
habeas corpus case. The petitioner is currently detained by the Armed Forces of the United 
States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 554. 



2) 



The Protective Order has been entered in this case. 



3) The detainee has directly authorized this petition. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has been approved 
for release or transfer from Guantanamo Bay by the Department of Defense. The petitioner has 
not been charged with crimes triable by military commission under the Military Commissions 
Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 2/7/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



Dated: July 18, 2008 



Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHNC. O'QUINN 

Deputy Assistant Attorney General 



000088 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 29 of 61 



/S/ Judrv Subar 



JOSEPH H. HUNT (D.C. Bar.No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000089 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 30 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



IN RE: 

GUANTANAMO BAY 
DETAINEE LITIGATION 



Misc. No. 08-442 (TFH) . 

Civil Action No. 05-CV-0280 (GK) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Zahir Omar Khamis bin Hamdoon, a national of Yemen, is the detainee-petitioner 
in this habeas corpus case. The petitioner is currently detained by the Armed Forces of the 
United States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 576. 

2) The Protective Order has been entered in this case. 

3) The detainee has directly authorized this petition. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 2/7/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General. 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



000090 



Case1:05-cv-01458-UNA-AK Document 47-3 Filed 07/18/2008 Page 31 of 61 



/S/ Judrv Subar 



JOSEPH H. HUNT (D.C. Bar No. 431134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000091 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 32 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



IN RE: 

GUANTANAMO BAY 
DETAINEE LITIGATION 



Misc. No. 08-442 (TFH) 

Civil Action Nos. 05-CV-0329 (PLF); 
05-CV-0764 (CKK) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 

counsel for the respondents states the following status of this case: 

1) Ahmed Abdullah Al-Wazan aka Yunis Abdurrahman Shokuri, a national of 
Morocco, is the detainee-petitioner in this habeas corpus case. The petitioner is currently 
detained by the Armed Forces of the United States at Guantanamo Bay, Cuba, and is identified 
by Internment Serial Number 1 97. This petitioner appears in more than one petition pending 
before this Court, as captioned above. The respondents submit that the first petition filed is 

i 

operative, and thus all later-filed petitions should be dismissed in accordance with the Joint 
Status Report filed with this Court. 

2) The Protective Order has been entered in this case. 

3) The detainee has directly authorized this petition. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 2/1 5/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



000092 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 33 of 61 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



/s/ Judrv L. Subar 



JOSEPH H. HUNT (D.C Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000093 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 34 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
IN RE: ) 

) Misc. No. 08-442 (TFH) 

GUANTANAMO BAY ) 

DETAINEE LITIGATION ) Civil Action Nos. 05-CV-0359 (GK); 

) 05-CV-2385 (RMU) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Rafiq Bin Bashir bin Jallul Alhami, a national of Tunisia, is the detainee- 
petitioner in this habeas corpus case. The petitioner is currently detained by the Armed Forces of 
the United States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 892. 
This petitioner appears in more than one petition pending before this Court, as captioned above. 
The respondents submit that the first petition filed is operative, and thus all later-filed petitions 
should be dismissed in accordance with the Joint Status Report filed with this Court. 

2) The Protective Order has been entered in this case. 

3) Although styled as a petition directly authorized by the petitioner, no such direct 
authorization has been filed with the Court. Because such authorization has not been filed, it is 
unknown whether the petitioner consents to this matter proceeding. Counsel should be required 
to demonstrate direct authorization from the petitioner before merits-related matters are 
scheduled in this case. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has been approved 
for release or transfer from Guantanamo Bay by the Department of Defense. The petitioner has 
not been charged with crimes triable by military commission under the Military Commissions 
Act of 2006. 



000094 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 35 of 61 



5) The petitioner filed this petition for a writ of habeas corpus on 2/22/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



/S/ Judry Subar 



JOSEPH H. HUNT (D.C. Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000095 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 36 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
IN RE: ) 

) Misc. No. 08-442 (TFH) 

GUANTANAMO BAY ) 

DETAINEE LITIGATION ) Civil Action Nos. 05-CV-0359 (GK); 

) 05-CV-2386 (RMU) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case; 

1) Mohammed Abdul Rahman, a national of Tunisia, is the detainee-petitioner in 
this habeas corpus case. The petitioner is currently detained by the Armed Forces of the United 
States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 894. This 
petitioner appears in more than one petition pending before this Court, as captioned above. The 
respondents submit that the first petition filed is operative, and thus all later-filed petitions 
should be dismissed in accordance with the Joint Status Report filed with this Court. 

2) The Protective Order has been entered in this case. 

3) Although styled as a petition directly authorized by the petitioner, no such direct 
authorization has been filed with the Court. Because such authorization has not been filed, it is 
unknown whether the petitioner consents to this matter proceeding. Counsel should be required 
to demonstrate direct authorization from the petitioner before merits-related matters are 
scheduled in this case. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has been approved 
for release or transfer from Guantanamo Bay by the Department of Defense. The petitioner has 
not been charged with crimes triable by military commission under the Military Commissions 
Act of 2006. 



000096 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 37 of 61 



5) The petitioner filed this petition for a writ of habeas corpus on 2/22/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 

Assistant Attorney General 

JOHNC. O'QUINN 

Deputy Assistant Attorney General 



i - 



/S/ Judry Subar 



JOSEPH H. HUNT (D.C. Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000097 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 . Page 38 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



IN RE: 

GUANTANAMO BAY 
DETAINEE LITIGATION 



Misc. No. 08-442 (TFH) 

Civil Action No. 05-CV-0392 (ESH) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 1 1, 2008 Scheduling Order, 
undersigned counsel for the respondents states the following status of this case: 

1) Jamel Ameziane, a national of Algeria, is the detainee-petitioner in this 
habeas corpus case. The petitioner is currently detained by the Armed Forces of the 
United States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 
310. 

2) The Protective Order has been entered in this case. 

3) The detainee has directly authorized this petition. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the 
Department of Defense determined the petitioner to be an enemy combatant. The 
petitioner has not been approved for release or transfer from Guantanamo Bay by an 
Administrative Review Board. The petitioner has not been charged with crimes triable 
by military commission under the Military Commissions Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 2/24/2005 
The respondent has filed the CSRT record, styled as a "factual return," in this case. 



Dated: July 18,2008 Respectfully Submitted, 

GREGORY G. KATSAS 

Assistant Attorney General 



000098 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 39 of 61 



JOHN C. O'QUINN 

Deputy Assistant Attorney General 



/s/ Judry L. Subar 

JOSEPH H HUNT (D.C. Bar No. 431134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

T* A T TT T-i A TTnn\T 

rAUL jc. AntiJtuN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 

Attorneys for Respondents 



000099 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 40 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
INRE: ) 

) Misc. No. 08-442 (TFH) 

GUANTANAMO BAY ) 

DETAINEE LITIGATION ) Civil Action No. 05-CV-0492 (JR) 

) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Ahamed Abdul Aziz, a national of Mauritania, is the detainee-petitioner in this t 
habeas corpus case. The petitioner is currently detained by the Armed Forces of the United 
States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 757. 

2) The Protective Order has been entered in this case. 

3) The detainee has directly authorized this petition. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has nbt been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 3/10/2005. On 
April 5, 2007 (dkt. no. 55), the Court dismissed the petition for lack of jurisdiction. On April 19, 
2007 (dkt. no. 56), petitioner filed a motion for reconsideration of the Court's dismissal order 
and for a stay-and-abey order. On March 6, 2008 (dkt. no. 67), the Court denied the motion for 
reconsideration and a stay-and-abey order without prejudice. Petitioner appealed, and on July 9, 
2008, the Court of Appeals vacated the order of dismissal and remanded the case to this Court 
for further proceedings. Aziz v. Bush, No. 08-5080 (D.C. Cir. July 9, 2008). The respondent has 
not filed the CSRT record, styled as a "factual return," in this case. 



000100 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 41 of 61 



Dated: July 18,2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



I si Judry Subar 



JOSEPH H. HUNT (D.C Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000101 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 42 of 61 



THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
IN RE: ) 



) Misc. No. 08-442 (TFH) 
GUANTANAMO BAY ) 

DETAINEE LITIGATION ) Civil Action No. 05-CV-0520 (RMU) 

_) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Abdul Rahman Shalabi (listed in the petition as Abdul Rahman Shalby), a 
national of Saudi Arabia, is the detainee-petitioner in this habeas corpus case. The petitioner is 
currently detained by the Armed Forces of the United States at Guantanamo Bay, Cuba, and is 
identified by Internment Serial Number 42. 

t 

2) The Protective Order has been entered in this case. 

3) The detainee is represented in this petition by a next friend. The Protective Order 
was entered in this case, so counsel has had the opportunity to visit the petitioner and receive 
direct authorization to pursue the action. Because such authorization has not been filed, 
however, it is unknown whether the petitioner consents to this matter proceeding. Counsel 

V 

should be required to demonstrate direct authorization from the petitioner before merits-related 
matters are scheduled in this case. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 



000102 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 43 of 61 



5) The petitioner filed this petition for a writ of habeas corpus on 3/14/2005. The 
respondents have filed the CSRT record, styled as a "factual return," in this case. 



Dated: July 18, 2008 



Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



/s/Judry Subar 



JOSEPH H. HUNT (D.C. Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000103 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 44 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
IN RE: ) 



) Misc. No. 08-442 (TFH) 

GUANTANAMO BAY ) 

DETAINEE LITIGATION ) Civil Action No. 05-CV-0526 (RMU) 

) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 1 1, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Abd Al Nisr Khan Tumani, a national of Syria, is the detainee-petitioner in this 
habeas corpus case. The petitioner is currently detained by the Armed Forces of the United 
States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 307. 

2) The Protective Order has been entered in this case. 

3) The detainee has directly authorized this petition. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

// 



// 



// 



7/ 



000104 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 45 of 61 



5) The petitioner filed this petition for a writ of habeas corpus on 3/15/2005. The 
respondents have filed the CSRT record, styled as a "factual return," in this case. 



Dated: July 18,2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



/s/_Judry Subar 



JOSEPH H. HUNT (D.C. Bar No. 431134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



\ 



000105 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 46 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
IN RE: ) 

) Misc. No. 08-442 (TFH) 

GUANTANAMO BAY ) 

DETAINEE LITIGATION ) Civil Action No. 05-CV-0526 (RMU) 

) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Muhammed Khan Tumani, a national of Syria, is the detainee-petitioner in this 
habeas corpus case. The petitioner is currently detained by the Armed Forces of the United 
States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 312. 

2) The Protective Order has been entered in this case. 

3) The detainee has directly authorized this petition. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

// 



// 



// 



// 



000106 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 47 of 61 



5) The petitioner filed this petition for a writ of habeas corpus on 3/15/2005. The 
respondents have filed the CSRT record, styled as a "factual return," in this case. 



Dated: July 1 8, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



/s/ Judry Subar 



JOSEPH H. HUNT (D.C. Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000107 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 48 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
IN RE: ) 

) Misc. No. 08-442 (TFH) 

GUANTANAMO BAY ) 

DETAINEE LITIGATION . ) Civil Action Nos. 05-CV-0569 (JR); 

) 05-CV-0881 (JR); 05-CV-0995 (JR) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Mohammedou Ould Salahi, a national of Mauritania, is the detainee-petitioner in 
this habeas corpus case. The petitioner is currently detained by the Armed Forces of the United 
States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 760. This 
petitioner appears in more than one petition pending before this Court, as captioned above. The 
respondents submit that the first petition filed is operative, and thus all later-filed petitions 
should be dismissed in accordance with the Joint Status Report filed with this Court. 

2) The Protective Order has been entered in this case. 

3) The detainee has directly authorized this petition. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 



5) The petitioner filed this petition for a writ of habeas corpus on 3/1 8/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. On April 5, 2007 
(dkt no. 78), the Court dismissed the petition for lack of jurisdiction. On April 20, 2007 (dkt. 



1 Petitioner is identified as Mohamedou Ould Slahi in the petitions filed in Slahi v. Bush, No. 05- 
cv-881 (JR), and Slahi v. Bush, No. 05-cv-995 (JR). 



000108 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 49 of 61 



nos. 79, 80), petitioner filed a motion for reconsideration of the Court's dismissal order and a 
stay-and-abey order or, in the alternative, transfer to the Court of Appeals. On March 6, 2008 
(dkt. no. 89), the Court denied the motion for reconsideration and a stay-and-abey order without 
prejudice. On June 23, 2008 (dkt. no. 90), petitioner filed a motion for reinstatement of the 
habeas petition and other relief Respondents do not oppose reinstatement of the petition. 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 

Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



I si Judry Subar 



JOSEPH H. HUNT (D.C. Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N. W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000109 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 50 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
IN RE: ) 

) Misc. No. 08-442 (TFH) 

GUANTANAMO BAY ) 

DETAINEE LITIGATION ) Civil Action No. 05-CV-0634 (RWR) 

) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 1 1, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Omer Saeed Salem Al Daini, a national of Yemen, is the detainee-petitioner in 
this habeas corpus case. The petitioner is currently detained by the Armed Forces of the United 
States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 549. 

2) The Protective Order has been entered in this case. 

3) The detainee is represented in this petition by a next friend. The Protective Order 
was entered in this case, so counsel has had the opportunity to visit the petitioner and receive 
direct authorization to pursue the action. Because such authorization has not been filed, 
however, it is unknown whether the petitioner consents to this matter proceeding. Counsel 
should be required to demonstrate direct authorization from the petitioner before merits-related 
matters are scheduled in this case. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 3/28/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



000110 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 51 of 61 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



/S/ Judry Subar 



JOSEPH H. HUNT (D.C. Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. . 

Washington, DC 20530 

Tel: (202)514-3755 

Tax: (202)616-8470 



Attorneys for Respondents 



000111 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 52 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
IN RE: ) 

) Misc. No. 08-442 (TFH) 

GUANTANAMO BAY ) 

DETAINEE LITIGATION ) Civil Action No. 05-CV-0748 (RMC) 

) 



STATUS REPORT 

■■' Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Sameer Najy Hasan Mukbel, a national of Yemen, is the detainee-petitioner in 
this habeas corpus case. The petitioner is currently detained by the Armed Forces of the United 

* 

States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 43. 

2) The Protective Order has been entered in this case. 

3) The detainee has directly authorized this petition. 

V 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

// 



// 



// 



// 



000112 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 53 of 61 



5) The petitioner filed this petition for a writ of habeas corpus on 4/1 1/2005. On 
May 30, 2007 [dkt # 39], the district court dismissed the petition for lack of subject matter 
jurisdiction. Petitioner has not filed a notice of appeal of that dismissal order. Respondents do 
not oppose vacatur of the dismissal of the petition. The respondents have not filed the CSRT 
record, styled as a "factual return," in this case. 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 

Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



I si Judrv Subar 



JOSEPH H. HUNT (D.G. Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAULE.AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000113 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 54 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
IN RE: ) 

) Misc. No. 08-442 (TFH) 

GUANTANAMO BAY ) 

DETAINEE LITIGATION ) Civil Action No. 05-CV-0748 (RMC) 

) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 1 1, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Mohsen Abdrub Aboassy, a national of Yemen, is the detainee-petitioner in this 
habeas corpus case. The petitioner is currently detained by the Armed Forces of the United 
States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 91. 

2) The Protective Order has been entered in this case. 

3) The detainee has directly authorized this petition. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

// 



// 



// 



000114 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 55 of 61 



5) The petitioner filed this petition for a writ of habeas corpus on 4/1 1/2005. On 
May 30, 2007 [dkt #39], the district court dismissed the petition for lack of subject matter 
jurisdiction. Petitioner has not filed a notice of appeal of that dismissal order, but recently 
requested respondents' position on petitioner's anticipated motion to vacate the dismissal order. 
Respondents do not oppose vacatur of the dismissal order. The respondents have not filed the 
CSRT record, stvled as a "factual return." in this case. 



•■ >/ 



Dated: July 18,2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



I si Judrv Subar 



JOSEPH H. HUNT (DG. Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



. 000115 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 56 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



IN RE: 

GUANTANAMO BAY 
DETAINEE LITIGATION 



Misc. No. 08-442 (TFH). 

Civil Action No. 05-CV-0748 (RMC) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Mohammed Saeed Bin Salman, a national of Yemen, is the detainee-petitioner in 
this habeas corpus case. The petitioner is currently detained by the Armed Forces of the United 
States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 251. 



2) 



The Protective Order has been entered in this case. 



3) The detainee has directly authorized this petition. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has been approved 
for release or transfer from Guantanamo Bay by the Department of Defense. The petitioner has 
not been charged with crimes triable by military commission under the Military Commissions 
Act of 2006. 

// 



// 



// 



// 



000116 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 57 of 61 



5) The petitioner filed this petition for a writ of habeas corpus on 4/1 1/2005. On 
May 30, 2007 [dkt # 39], the district court dismissed the petition for lack of subject matter 
jurisdiction. Petitioner has not filed a notice of appeal of that dismissal order. Respondents do 
not oppose vacatur of the dismissal of the petition. The respondents have not filed the CSRT 
record, styled as a "factual return," in this case. 



Dated: July 18,2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



/s/Judry Subar 



JOSEPH H. HUNT (D.C. Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M.HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000117 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 58 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



IN RE: 

GUANTANAMO BAY 
DETAINEE LITIGATION 



Misc. No. 08-442 (TFH) 

Civil Action No. 05-CV-0763 (JDB) 



STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Adel Hamlily, a national of Algeria, is the detainee-petitioner in this habeas 
corpus case. The petitioner is currently detained by the Armed Forces of the United States at 
Guantanamo Bay, Cuba, and is identified by Internment Serial Number 1452. 

2) The Protective Order has been entered in this case. 

3) The detainee has directly authorized this petition. 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 4/15/2005. The 
respondent has not filed the CSRT record, styled as a "factual return," in this case. 



Dated: July 18,2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



000118 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 59 of 61 



/s/ Judrv Subar 



JOSEPH H. HUNT (D.C. Bar No. 43 1 1 34) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000119 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 60 of 61 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
IN RE: ) 

) Misc. No. 08-442 (TFH) 

GUANTANAMO BAY ) 

DETAINEE LITIGATION ) Civil Action No. 05-CV-0764 (CKK) 

) 



1 STATUS REPORT 

Pursuant to paragraph 1 of this Court's July 11, 2008 Scheduling Order, undersigned 
counsel for the respondents states the following status of this case: 

1) Abdul Latif Mohammed Nasser, a national of Morocco, is the detainee-petitioner 
in this habeas corpus case. The petitioner is currently detained by the Armed Forces of the 
United States at Guantanamo Bay, Cuba, and is identified by Internment Serial Number 244. 

2) The Protective Order has been entered in this case. 

3) The detainee is represented in this petition by a next friend. The Protective Order 
was entered in this case, so counsel has had the opportunity to visit the petitioner and receive 
direct authorization to pursue the action. Because such authorization has not been filed, 
however, it is unknown whether the petitioner consents to this matter proceeding. Counsel 
should be required to demonstrate direct authorization from the petitioner before merits-related 
matters are scheduled in this case. { 

4) A Combatant Status Review Tribunal ("CSRT") convened by the Department of 
Defense determined the petitioner to be an enemy combatant. The petitioner has not been 
approved for release or transfer from Guantanamo Bay by the Department of Defense. The 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 4/15/2005. The 
respondent has not filed the CSRT record, styled as a "factual return," in this case. 



000120 



Case 1 :05-cv-01 458-UNA-AK Document 47-3 Filed 07/1 8/2008 Page 61 of 61 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



/s/ Judry Subar 



JOSEPH H. HUNT (D.C Bar No. 431 134) 

VINCENT M. GARVEY (D.C. Bar No. 127191) 

JUDRY L. SUBAR 

TERRY M. HENRY 

ANDREW I. WARDEN 

PAUL E. AHERN 

Attorneys 

United States Department of Justice 

Civil Division, Federal Programs Branch 

20 Massachusetts Avenue N.W. 

Washington, DC 20530 

Tel: (202)514-3755 

Fax: (202)616-8470 



Attorneys for Respondents 



000121