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Mr. Wilson McIvor
Keswick, VA
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 e-mail of November 29, 2000.
Dear Mr. McIvor:
You have asked about obtaining documents relating to the
Commonwealth's new compensation plan under the Virginia Freedom of
Information Act (FOIA). Your first question asks how to obtain
information relating to the plan's development. Your second
question involves an attempt to obtain an annual report of the
Department of Human Resources, formerly the Department of Personnel
and Training ("the Department"), relating to the compensation
plan.
You state in your inquiry that you desire to discover the
developers' intentions behind the development of the compensation
program. The Commonwealth established a commission to study and
develop a new plan. Such a commission would fall under the
definition of a public body, set forth in § 2.1-341 of the
Code of Virginia. As a result, documents prepared by and used by
the commission would be public records, so long as they do not fall
under a specific exemption in FOIA or their distribution otherwise
prohibited by law. To obtain these documents, follow the procedures
set forth in subsection B of § 2.1-342, which require you to
identify the records you wish to request with reasonable
specificity. After receiving your request, the public body will
have five working days to make one of the responses mandated by
that same provision.
You have also inquired about receiving a copy of an annual
report created by the Department. The Department's final report on
the compensation reform plan states that it will publish annual
results that will, among other things, present statistical analyses
and comparisons to market data for comparable positions in the
private sector. You indicate that the Department has denied you
access to such a document, claiming that the data is proprietary
and copyright, and only available to human resources personnel.
Subsection A of § 2.1-342 states 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. In order to deny access to a public record, the record
must fall under one of the enumerated exemptions found at
subsection A of § 2.1-342.01. Subsection B of § 2.1-342
sets forth the procedures a custodian must follow if a record will
be withheld. The refusal must be in writing, identify the subject
matter of the withheld record, and cite the specific section of the
Code of Virginia that authorizes the withholding. If a document
contains both exempt and nonexempt information, the records
custodian must delete or excise only the exempt portion of the
record, and provide the nonexempt portion to the requester. The
refusal to release a portion of the record must also be in writing,
state the subject of the withheld portion, and cite the specific
Code section that authorizes withholding that portion.
Upon analysis of FOIA, it does not appear that the Department's
annual report would be the proper subject of any of the exemptions.
There are no exemptions for copyright data, and the few exemptions
allowing certain types of proprietary data to be withheld are quite
specific, and would not apply to the type of document you indicate
you are trying to seek. Thus, the annual report of the Department
would be a public record accessible by the public.
Thank you for contacting this office. I hope that I have been of
assistance.
Sincerely,
Maria J.K. Everett
Executive Director
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