Northwest Coalition for Alternatives to Pesticides v. Browner (1996)
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Northwest Coalition for Alternatives to Pesticides v. Browner, 941 F.Supp. 197, 202 (D.D.C.1996) (citing Occidental Petroleum Corp. v. SEC, 873 F.2d 325, 342 (D.C.Cir.1989)).
Coalition for Alternatives to Pesticides v. Browner, 941 F. Supp. 197, 201 (D.D.C. 1996) (holding that FOIA “exemption 4” did not apply because agency did not meet burden of showing that desired information consisted of “trade secrets and commercial or financial information obtained from a person [that are] privileged or confidential”); Lawyers Comm. for Human Rights v. Immigration & Natural ization Serv., 721 F. Supp. 552, 569 (S.D.N.Y. 1989) (holding that agency could not …
holding that FOIA “exemption 4” did not apply because agency did not meet burden of showing that desired information consisted of “trade secrets and commercial or financial information obtained from a person [that are] privileged or confidential”
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Mortellite v. Novartis Crop Protection, Inc. (2003)
Northwest Coalition for Alternatives to Pesticides v. Browner, 941 F.Supp. 197, 199-201 (D.D.C.1996). 5 .
The exemption protects “two categories of information in agency records: (1) trade secrets; and (2) confidential commercial information.” Northwest Coalition for Alternatives to Pesticides v. Browner, 941 F.Supp. 197, 201 (D.D.C.1996).