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April 28 , 2005
Andrew Jennings
Hillsville, Virginia
The staff of the Freedom of
Information Advisory Council is authorized to issue advisory
opinions. The ensuing staff advisory opinion is based solely upon
the information presented in your electronic mail of March 9,
2005.
Dear Mr. Jennings:
You have asked whether a school district acted in compliance
with the Virginia Freedom of Information Act (FOIA) when it denied
your request for a list of websites and keywords blocked by the
school district's computer network firewall. You indicate that you
made a request for "a listing of websites and keywords blocked on
the district's firewall, and additionally where websites and
keywords are blocked geographically and within schools." The school
district denied your request, citing the exemption from mandatory
disclosure found in subdivision 3 of § 2.2-3705.2 of the Code
of Virginia. You indicate that you do not feel that this exemption
is applicable to the records you have requested.
Before proceeding with legal analysis of your question, it is
necessary to set forth some general background information
concerning computer network firewalls, what they do, and how they
work. Merriam-Webster Online defines firewall in this
context to mean a computer or computer software that prevents
unauthorized access to private data (as on a company's local area
network or intranet) by outside computer users (as of the
Internet).1 Dictionary.com defines
firewall in this context to mean [a]ny of a number of
security schemes that prevent unauthorized users from gaining
access to a computer network or that monitor transfers of
information to and from the network.2 Firewalls come in multiple types and perform
multiple tasks. Firewalls can involve both hardware and software
(such as in network routers), be stand-alone software programs, or
be software packaged with other programs (such as firewalls that
come packaged with certain operating systems). A firewall may
restrict access to and from a computer network based upon Internet
Protocol (IP) address, by domain name, by computer port-ranges, or
by restricting different computer transfer protocols (HTTP, FTP,
etc.). Firewalls may restrict all traffic by default except for
traffic specifically allowed, or conversely, may permit all traffic
by default except for traffic specifically prohibited. As a
practical matter, it appears that most firewalls do not restrict
access based upon lists of keywords, although some do, particularly
in conjunction with other filtering software. Similarly, while at
least some firewalls do block access to websites, they may do so by
blocking the specific IP address or domain name of the site or
through a more general security rule that does not necessarily
involve the IP address or domain name of a particular site. Such
rules, addresses, and keywords must be incorporated into the
programming of the firewall in order for the firewall to perform
its tasks. Additionally, it appears that at least some firewalls
may receive automatic updates to their programming, including lists
of websites, from third parties (generally the vendor of the
firewall) as various sites on the Internet are added and removed. A
more detailed technical description is beyond the scope of this
opinion.3
Turning now to a legal analysis of your request under FOIA,
subsection A of § 2.2-3704 provides that [e]xcept as
otherwise specifically provided by law, all public records shall be
open to inspection and copying by any citizens of the Commonwealth
during the regular office hours of the custodian of such
records. The policy of FOIA at subsection B of § 2.2-3700
requires that [a]ny exemption from public access to
records...shall be narrowly construed. Subdivision 3 of §
2.2-3705.2 provides a discretionary exemption applicable to
[d]ocumentation or other information that describes the design,
function, operation or access control features of any security
system, whether manual or automated, which is used to control
access to or use of any automated data processing or
telecommunications system. If this exemption applies, then the
school district acted within its discretion to withhold these
records as exempt from the mandatory disclosure requirements of
FOIA.
You indicated that you do not feel that the records you have
requested fall under the terms of this exemption because you are
asking only what websites and keywords are blocked and where they
are blocked, as opposed to requesting information concerning the
design, function, operation or access control features of
the firewall security system. It appears that you and the school
district agree that the firewall is a security system...used to
control access to or use of the school district's computer
network, and that the computer network itself is an automated
data processing or telecommunications system. The question is
thus narrowed to whether the list of websites and keywords you seek
describes the design, function, operation or access control
features of the firewall. In interpreting this exemption, these
terms must be given their ordinary meanings within the context in
which they are used.4
The American Heritage Dictionary defines the term design,
when used as a noun, to mean the invention and disposition of
the forms, parts, or details of something according to a
plan.5 The design of the
firewall as a security system would include the physical locations
where the firewall acts (e.g., if the firewall protects certain
computers but not others, or has different access rules for
different computers located in different areas within the schools).
Keep in mind that the purpose of this exemption is to protect
security systems, and a disclosure of the locations where a
security system operates and where it does not may compromise the
system. Any record that describes "where websites and keywords are
blocked geographically and within schools" thus could be properly
withheld pursuant to subdivision 3 of § 2.2-3705.2 because
such a record describes the design of the firewall. The
school system acted in compliance with FOIA when it denied this
aspect of your request. Regarding your request for a list of
blocked websites and keywords, if the firewall in question does act
to block particular websites and to restrict access based upon
particular keywords, these functions must be implemented as part of
the firewall's programming. Thus, a list of websites and keywords
such as you requested, if it exists at all, must exist in some form
within the programming of the firewall. The programming code is
part of the design of the firewall. Thus such a list
describes the design of the firewall, as it describes the
programming of the firewall, and may be withheld from disclosure
under subdivision 3 of § 2.2-3705.2.
Considering the next term used in the exemption, function
is defined to mean [t]he action for which a person or thing is
particularly fitted or employed or [a]ssigned duty or
activity.6 As previously described,
a firewall may be programmed to block access to certain websites,
whether by IP address, domain name, or based upon a list of
keywords (or through other rules). A list of such blocked sites and
keywords therefore describes the function (i.e., the
assigned duty or activity) of the firewall. Thus, the list you
request also may be properly withheld from disclosure under
subdivision 3 of § 2.2-3705.2 because it describes the
function of the firewall. Because the records you requested
describe the design and/or function of the firewall,
it is not necessary to consider whether these records also describe
the operation or the access control features of the
firewall, although it appears that this may be the case. In
conclusion, the school district properly withheld the records you
requested pursuant to subdivision 3 of § 2.2-3705.2 because
these records describe the design and/or function of
the firewall.
While recognizing that the school district properly invoked the
exemption in this case, a public body faced with a situation like
this one might choose to disclose any policy it has regarding the
general nature or types of websites or keywords that are
restricted, or general parameters by which access is restricted
(i.e., a statement of policy restricting access to pornographic
websites, or restricting peer-to-peer file sharing, etc.).
Providing information in this fashion is not required by FOIA but
can be helpful in satisfying a request and maintaining good public
relations.
Thank you for contacting this office. I hope that I have been of
assistance.
Sincerely,
Maria J.K. Everett
Executive Director
1Merriam-Webster Online Dictionary,
available at http://www.m-w.com/ (last visited April 6,
2005).
2Dictionary.com, available at
http://dictionary.reference.com/ (last visited April 6, 2005).
3More detailed information concerning
firewalls is widely available on the internet. The following
websites, among others, provide more detailed information about
firewalls and were used as references in preparing this opinion:
http://computer.howstuffworks.com/firewall.htm (last visited April
25, 2005); http://www.interhack.net/pubs/fwfaq/ (last visited April
25, 2005);
http://www.microsoft.com/athome/security/protect/firewall.mspx
(last visited April 25, 2005).
4See, e.g., Sansom v. Board of
Supervisors of Madison County, 257 Va. 589, 594-95, 514 S.E.2d
345, 349 (1999).
5The American Heritage Dictionary 386
(2d College ed. 1982).
6Id. at 539.
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