UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK BRENNAN CENTER FOR JUSTICE and THE PROTECT DEMOCRACY PROJECT, 3 Plaintiffs, 3 No. 17?cv-6335 (AKH) US. DEPARTMENT OF JUSTICE, et al. 3 Defendants. SUPPLEMENTAL DECLARATION OF TINK COOPER I, Tink Cooper, pursuant to 28 U.S.C. 1746, declare the following to be true and correct: 1. I am the Acting Chief of the Freedom of Information/Privacy Act Branch of the Civil Rights Division or the ?Division?) Of the United States Department of Justice in Washington, DC. My duties include supervision of the Branch of CRT, which is responsible for processing all Freedom of Information Act (FOIA), 5 U.S.C. 552, and Privacy Act 5 U.S.C. 552a, records access requests received by the Division. I make the statements herein on the basis of personal knowledge, as well as information acquired by me in the course of performing my Of?cial duties. I am responsible for processing the documents responsive to Plaintiffs? requests to CRT that are at issue in this lawsuit. 2. This supplemental declaration addresses the Court?s April 30, 2019, Order directing the defendant agencies to ?ask relevant employees if they used private email accounts relating to the Commission?s business and, if so, to produce the documents.? Dkt. NO. 99 at 11. 3. In response to the April 30, 2019 order, on May 30, 2019, CRT sent an email to the entire staff of the Voting Section with copies of Plaintiffs? 01A requests, dated May 15, 2017 and July 26, 2017, regarding the Presidential Advisory Commission on Election Integrity. The May 30, 2019 email directed Voting Section staff to report to Voting Section Chief, Chris Herren, if they had any potentially responsive agency records related to these FOIA requests outside of a Department records system, such as in a personal email account. 4. CRT did not send the above-referenced email to the two relevant custodians from the Of?ce of the Assistant Attorney General, Mr. John Gore and Ms. Maureen Riordan, since a separate part of the Court?s April 2019 Order addressed their respective private email accounts. 5. Voting Section Chief Herren advised me that no employee from the Voting Section identi?ed any potentially responsive records existing outside of a Department of Justice records system. I declare under penalty of perjury that the foregoing is true and correct. divs/wk mee?? Tink Cooper, Acting Chief Branch Civil Rights Division US. Department of Justice Washington, DC. 20530 Executed on: 3?2 30 I (2 Washington, DC.