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Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 1 of 60 



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-1509 (RMU); 
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) Jalaal Doe, a national of China, 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 285. 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 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. 

// 



// 



000181 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 2 of 60 



5) The petitioner filed this petition for a writ of habeas corpus on 8/1/2005. 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 



/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 



000182 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 3 of 60 



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-l 509 (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) Abdusamad Doe, a national of China, 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 295. 

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. 

// 



// 



// 



// 



000183 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 4 of 60 



5) The petitioner filed this petition for a writ of habeas corpus on 8/1/2005. 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 



/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 



000184 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 5 of 60 



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-l 509 (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) Hudhaifa Doe, a national of China, 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 320. 

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. 

// 



// 



// 



// 



000185 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 6 of 60 



5) The petitioner filed this petition for a writ of habeas corpus on 8/1/2005. 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 



/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 



000186 



V; 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 7 of 60 



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-l 509 (RMU); 
) 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) Hammad Doe, a national of China, 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 328. 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. 

II 



II 



000187 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 8 of 60 



5) The petitioner filed this petition for a writ of habeas corpus on 8/1/2005. 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 



/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 



000188 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 9 of 60 



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-l 555 (JR); 

__) 05-CV-1725 (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) Ibrahim Osman Ibrahim Idris, 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 36. This 

* ■ ,1 

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 8/2/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. On April 5, 2007 



1 Petitioner is identified as Abrahim Othman Abrahim Edries in the petition filed in Edries v. 
Bush, No. OS-cv-1725, (JR), which is consolidated with this case, and is identified as Mahmood 
LNU (Last Name Unknown) in the petition filed in Mohammon v. Bush, No. 05-cv-2386 (RBW). 



000189 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 1 of 60 



(dkt no. 63, No. 05-cv-1555 (JR)), the Court dismissed the petition for lack of jurisdiction. On 
April 16, 2007 (dkt. nos. 64, 65), 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. 74), the Court denied 
that motion without prejudice. On July 2, 2008 (dkt. no. 63), petitioner filed a motion seeking 
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 

JOHNC.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 



000190 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 1 1 of 60 



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-1592 (RCL); 
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) Hassan Bin Attash, 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 1456. 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 
petitioner has not been charged with crimes triable by military commission under the Military 



000191 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 1 2 of 60 



Commissions Act of 2006. 

5) The petitioner filed this petition for a writ of habeas corpus on 8/9/2005. 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 



/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 



000192 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 1 3 of 60 



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- 1 60 1 (GK) 
) 06-CV-1691 (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) Hamid Al Razak, a national of Afghanistan, 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 1119. 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 

V 

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



000193 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 1 4 of 60 



5) The petitioner filed this petition for a writ of habeas corpus on 8/10/2005. 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. 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 



000194 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 1 5 of 60 



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-1602 (ESH) 

) 



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) Edham Mamet, a national of China, 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 
102. 

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 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 8/1 1/2005. 
The respondent has filed the CSRT record, styled as a "factual return," in this case. 



000195 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 1 6 of 60 



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 



000196 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 1 7 of 60 



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-1607 (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 Raheem Ghulam Rabbani, 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 1460. 

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. 

// 



// 



// 



// 



000197 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 1 8 of 60 



5) The petitioner filed this petition for a writ of habeas corpus on 8/15/2005. 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 

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 



000198 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 1 9 of 60 



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-1607 (RMU); 
05-CV-2386 (RBW) 



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) Ahmmed Ghulam Rabbani, 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 1461. 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. 

// 



// 



000199 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 20 of 60 



5) The petitioner filed this petition for a writ of habeas corpus on 8/1 5/2005. 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. 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 



000200 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 21 of 60 



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-1638 (CKK); 
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) Mohammed Rajeb Abu Ghanem, 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 44. 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 
petitioner has not been charged with crimes triable by military commission under the Military 
Commissions Act of 2006. 



000201 



Case1:05-cv-01458-UNA-AK Document 47-5 Filed 07/18/2008 Page 22 of 60 



5) The petitioner filed this petition for a writ of habeas corpus on 8/1 5/2005. 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 



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 

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 



000202 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 23 of 60 



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-l 645 (PLF); 

) 05-CV-01649 (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) Hussain Salem Mohammed Almerfedi aka Hussein Salem Mohammed Abdullah 
El-Marqodi, 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 1015. This petitioner appears in more than 
one petition pending before this Court, as captioned above. Petitioner voluntarily dismissed the 
later-filed petition on October 25, 2005. See 05-CV-1649 (RBW) (dkt no. 18). 

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

3) The detainee has directly authorized this petition, though in the voluntarily 
dismissed case 05-CV-1649 (RBW). 

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 8/16/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



000203 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 24 of 60 



Dated: July 1 8, 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 



000204 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 25 of 60 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



) 
EST RE: ) 

) Misc. No. 08-442 (TFH) 

GUANTANAMO BAY ) 

DETAINEE LITIGATION ) Civil Action No. 05-CV-1646 (JDB) 

) 



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) Waleed Saeed Bn Saeed Zaid, 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 550. 

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 8/1 8/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



000205 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 26 of 60 



Dated: July 1 8, 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 



000206 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 27 of 60 



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-1678 (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) Alia Ali Bin Ali Ahmed, 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 692. 

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 8/22/2005. The 

r 

respondent has filed the CSRT record, styled as a "factual return," in this case. 



000207 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 28 of 60 



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 



000208 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 29 of 60 



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-l 704 (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) Arkeen Doe, a national of China, 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 103. 

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 8/25/2005. The 
respondent has filed the CSRT record, styled as a "factual return/ 5 in this case. On April 5, 2007 
(dkt. no. 63), the Court dismissed the petition for lack of jurisdiction. On April 16, 2007 (dkt. 
nos. 64, 65), petitioner filed a motion for reconsideration of the Court's dismissal order and for a 
stay-and-abey order. On June 17, 2008 (dkt. nos. 69, 70), petitioner filed a motion seeking 
reinstatement of the habeas petition and other relief. By minute order dated July 9, 2008, the 
Court granted the motion to reinstate the habeas petition. 



000209 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 30 of 60 



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 



000210 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 31 of 60 



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- 1 704 (JR); 
) 05-CV-2386 (RBW) 



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) Sadar Doe, a national of China, 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 277. This petitioner 
appears in more than one petition pending before this Court, as captioned above. 1 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 been approved 
for release or transfer from Guantanamo Bay by the Department of Defense. The petitioner has 



1 Petitioner is identified as Sader LNU (Last Name Unknown) in the petition filed in Mohammon 
v. Bush, OS-cv-2386 (RBW). 



000211 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 32 of 60 



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 8/25/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. On April 5, 2007 
(dkt no. 63), the Court dismissed the petition for lack of jurisdiction. On April 16, 2007 (dkt. 
nos. 64, 65), petitioner filed a motion for reconsideration of the Court's dismissal order and for a 
stay-and-abey order. On June 17, 2008 (dkt. nos. 69, 70), petitioner filed a motion seeking 
reinstatement of the habeas petition and other relief. By minute order dated July 9, 2008, the 
Court granted the motion to reinstate the habeas petition. 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHNC.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 



000212 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 33 of 60 



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-1971 (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 al-Qahtani, 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 63. 

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. Although petitioner's counsel filed an "authorization" 
executed by a "next friend" purportedly authorizing counsel and the next friend to act on behalf 
of the petitioner, that "authorization" is inadequate to establish direct authorization to pursue this 
case. Because an appropriate 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 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. 



000213 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 34 of 60 



5) The petitioner filed this petition for a writ of habeas corpus on 10/5/2005. On 
May 9, 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/ 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 



000214 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 35 of 60 



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-1983 (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) Ismail Alkhemisi, a national of Libya, 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 708. 

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. 

// 



// 



000215 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/i 8/2008 Page 36 of 60 



5) The petitioner filed this petition for a writ of habeas corpus on 1 0/6/2005. 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 



/s/Judry Subar 



JOSEPH H. HUNT (D.C. Bar No. 43 1 134) 

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 



000216 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 37 of 60 



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-2088 
(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) Khaled Abd Elgabar Mohammed Othman, 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 163. 

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 10/25/2005. 

* 

The respondent has filed the CSRT record, styled as a "factual return," in this case. 



000217 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 38 of 60 



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 



000218 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 39 of 60 



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-2104 (RBW) 



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) Ali Hamza Ahmed Suliman Bahlool, 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 39. 

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 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 10/27/2005. The 
respondent has not filed the CSRT record, styled as a "factual return," in this case. 



000219 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 40 of 60 



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. 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 



000220 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 41 of 60 



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-2 1 04 (RB W) 

) 



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) Othman Ali Mohammed Al Shamrany, 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 171. 

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 10/27/2005. The 
respondent has not filed the CSRT record, styled as a "factual return," in this case. 



000221 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 42 of 60 



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. 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 



000222 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 43 of 60 



IN THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF COLUMBIA 



IN RE: ABDUL AL QADER AHMED HUSSAIN 



GUANTANAMO BAY 
DETAINEE LITIGATION 



Misc. No. 08-442 (TFH) 

Civil Action No. 05-CV-2104 (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 ) Abdul Al Qader Ahmed Hussain, 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 690. 



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 10/27/2005. The 
respondent has not filed the CSRT record, styled as a "factual return," in this case. 



000223 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 44 of 60 



Dated: My 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. 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 



000224 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 45 of 60 



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-2185 (JR). 
05-CV-2200 (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) Abdu Al-Qader Hussain Al-Mudafari, a national of Yemen, is the detainee- 
petitioner in the above-captioned habeas corpus cases. The petitioner is currently detained by the 
Armed Forces of the United States at Guantanamo Bay, Cuba, and is identified by Internment 
Serial Number 40. 

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 1 1/7/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. On April 5, 2007 



000225 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 46 of 60 



(dkt. no. 53, No. 05-CV-2185 (JR.)), the Court dismissed the petition for lack of jurisdiction. On 
April 13, 2007 (dkt. nos. 54, 55), 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. 62), the Court denied 
the motion for reconsideration and a stay-and-abey order without prejudice. On July 2, 2008 
(dkt. nos. 64, 65), petitioner filed a motion seeking reinstatement of the habeas petition and other 
relief. Respondents do not oppose reinstatement of the petition in Civil Action No. 05-CV-2185. 

Petitioner also filed a second petition on November 9, 2005, captioned Al-Mothafri v. 
Bush, OS-cv-2200 (JR). In this second petition, petitioner was identified as Abdulaqader Hossin 
Ali Al-Mothafri. On December 20, 2005, petitioner filed notice of voluntary dismissal of the 
second petition. Amended Notice of Voluntary Dismissal Pursuant to Fed. R. Civ. P. 41(a)(1),. 
Al-Mothafri v. Bush, 05-cv-2200 (JR) (dkt. no. 8). 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 

Assistant Attorney General 

JOHNC. O'QUINN 

Deputy Assistant Attorney General 



/s/ Judry Subar 



JOSEPH H. HUNT (D.C. Bar No. 43 1 134) 

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 



000226 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 47 of 60 



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-2186 (ESH) 



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) Hayal Aziz Ahmed Al-Mithali, 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 840. 

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 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 1/7/2005. 
The respondent has filed the CSRT record, styled. as a "factual return," in this case. 



000227 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 48 of 60 



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,G Bar No. 431134) 

VINCENT M. GARVEY (DC. 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 



000228 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 49 of 60 



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-2199 (HHK) 



STATUS REPORT 

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

1) Abd Al Hakim Ghalib Ahmad Alhag, 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 686. 

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 1 1/10/2005. The 
respondent has not filed the CSRT record, styled as a "factual return," in this case. 



000229 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 50 of 60 



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 



000230 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 51 of 60 



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-2249 (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 Abdul Rahman Al-Shimrani, 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 195. 

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 



I Commissions Act of 2006. 



5) The petitioner filed this petition for a writ of habeas corpus on 1 1/17/2005. On 

May 9, 2007 [dkt # 48], the district court dismissed the petition for lack of subject matter 

jurisdiction. Petitioner filed a notice of appeal of that dismissal order on June 5, 2007 [dkt # 50], 

and a motion for reconsideration of the court's dismissal order on July 9, 2007 [dkt #53]. The 

^ — 

district court granted petitioner's motion for reconsideration [dkt #59 (Aug. 22, 2007)], but 
subsequently vacated that reconsideration order because of the pending appeal and the court's 
attendant lack of jurisdiction over the case on appeal [dkt #60 (Oct. 22, 2007)]. On February 27, 



000231 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 52 of 60 



2008, a mandate issued from a panel for the D.C. Circuit remanding the case to the District Court 
for the Court's consideration of the motion for reconsideration under Federal Rule of Civil 
Procedure 60(b) [dkt #65]. Respondents do not oppose reinstatement of the petition. 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 



-j 

i 



/s/ Judrv Subar 



JOSEPH H. HUNT (D.C. Bar No. 43 1 134) 

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 



000232 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 53 of 60 



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-2349 (RMC); 
) 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) Ahmed Ben Bacha, 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 290. 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 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. 



-t 



000233 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 54 of 60 



5) The petitioner filed the first petition for a writ of habeas corpus on 12/8/2005. 
The second petition was filed on 12/21/2005. 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/_ Judrv Subar 



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

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

JUDRYL. 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 



000234 



Case 1 :05-cv-0i 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 55 of 60 



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-2367 

(RWR); 

) 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) Abdul Haq, a national of Afghanistan, 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 
4. 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. v 

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 



000235 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 56 of 60 



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 12/9/2005. 
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/ 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 



000236 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 57 of 60 



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-2367 (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) Mohammad Wabi Umari, a national of Afghanistan, 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 832. 

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 12/9/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



000237 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 58 of 60 



Dated: July 18, 2008 Respectfully Submitted, 

GREGORY G. KATSAS 
Assistant Attorney General 

JOHN C. O'QUINN 

Deputy Assistant Attorney General 



A 



/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 



000238 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 59 of 60 



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-2367 (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) Mohammad Zahir, a national of Afghanistan, 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 1 103. 

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 12/9/2005. The 
respondent has filed the CSRT record, styled as a "factual return," in this case. 



000239 



Case 1 :05-cv-01 458-UNA-AK Document 47-5 Filed 07/1 8/2008 Page 60 of 60 



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 



000240