In Smith v. Maryland, the Supreme Court made clear
the important difference between extrinsic information used
to route a communication and the communicated content
itself.25 In Smith, the Supreme Court found no Fourth
Amendment violation from the government’s warrantless use
of a pen register.26 Distinguishing its holding in Katz v.
United States27 that warrantless wiretapping violated the
Fourth Amendment, the Supreme Court explained that “a pen
register differs significantly from the listening device
employed in Katz, for pen registers do not acquire the
contents of communications.”28 Rather, the Court explained,
pen registers “disclose only the telephone numbers that have
been dialed—a means of establishing communication. Neither
the purport of any communication between the caller and the
recipient of the call, their identities, nor whether the call was
even completed is disclosed by pen registers.”29
Smith’s differentiation between the “means of
establishing communication” and the “purport of a[]
communication”30 looms large in federal surveillance law.
25
442 U.S. 735 (1979).
26
Id. at 745-46.
27
389 U.S. 347 (1967).
28
Id. at 741 (emphasis in original).
29
Id. (quoting United States v. New York Tel. Co., 434 U.S.
159, 167 (1977)).
30
Id.
18