Case 1:16-cv-01534-JEB Document 146-2 Filed 03/01/17 Page 1 of 2 Exhibit 2 Standing Rock Sioux Tribe v. United States Army Corps of Engineers, Case No. 1:16-cv-1534 (JEB) Corps’ Opposition to Motion for Protective Order Case 1:16-cv-01534-JEB Document 146-2 Filed 03/01/17 Page 2 of 2 lJ.S. Depa rt ment of Homeland Security Arlington, Virgin ia 20598 Transportation Security Administration February 27, 2017 Erica Zilioli Trial Attorney U.S. Department of Justice Environmental Defense Section RE : Sensitive Security Information Review of Eleven Documents Attached to Dakota Access, LLC's February 1, 2017 Motion for Protective Order Ms. Zilioli: I am the Chief of the Sensitive Security Information (SSI) Program within the Office of Law Enforcement & Federal Air Marshal Service at the Transportation Security Administration. The SSI Program conducts assessments and reviews of certain records to determine which information contained therein is SSI in accordance with 49 U.S.C. § 114(r) and 49 C.F.R. part 1520, if any. The SSI Program, under my supervision, reviewed the eleven documents attached to Dakota Access, LLC ' s February 1, 2017 Motion for Protective Order. I also have personally reviewed the referenced documents. I have determined the documents do not contain any SSL Federal Air Marshal Service Transportation Security Administration U.S. Department of Homeland Security