Password-Protected FOIA Authority (United States Customs and Border Protection)

Andrew Free filed this request with the United States Customs and Border Protection of the United States of America.
Tracking #

CBP-AP-2022-105931

CBP-2022-072754

Multi Request Password-Protected FOIA Authority
Est. Completion None
Status
No Responsive Documents

Communications

From: Andrew Free

To Whom It May Concern:

Pursuant to the Freedom of Information Act, I hereby request the following records:

In recent years, your agency FOIA Office has required FOIA requestors to access agency records using a government-created password that is unique to the file containing responsive documents. The FOIA Office accomplishes this either through requiring FOIA requestors to utilize a 6-8 character password delivered by a second or separate communication.

Practically speaking, this doubles the number of communications the agency must generate in turning over responsive documents, and prevents widespread public dissemination of the records by restricting their access only to the requestor receiving the password. Your agency is thus doubling the work it does at one point of the FOIA response process while reducing significantly the transmissibility of the public records it provides. This is occurring at a time when multi-year backlogs and court orders plague timely access to vital information about the agency’s function.

All of this would be understandable and unavoidable if Congress required such actions. But it did not. The Freedom of Information Act and DHS’s FOIA regulations contain no language requiring public records to be password-protected. See 5 USC 552, and 6 CFR 5.1 et seq. Indeed, these authorities arguably prohibit such actions, because they constitute a conversion of the records from their original format into one constituting a completely new, password-protected document.

Please provide any agency record documenting: (a) the legal authority from which your FOIA Office claims it derives the power to place non-exempt public records responsive to FOIA requests into a password-protected document.

(b) the Standard Operating Procedure used by your FOIA Office to assign non-exempt records a password.

(c) any contract materials with any third-party reflecting monies paid by your agency to outside contractors for password-protecting FOIA documents.

(d) any record reflecting the total time FOIA Office personnel dedicated during FY20, FY21 and FY22 (to date) to password-protecting records.

(e) any governing policy denoting when password protection is appropriate, and when it is not.

Because your agency’s FOIA Office suffers from longstanding, unabated backlogs and extended, multi-year processing times of the kind expressly condemned by Congress in amending the FOIA, because your agency’s password protection practice appears to have no basis in law, and because this practice represents a potential obstacle to every FOIA requestor, including those seeking expedited processing, this policy impacts the substantial due process rights of requestors, and raises serious questions as to your Office’s capacity to discharge its obligations under the law, threatening public confidence in its functioning, we respectfully request expedited processing pursuant to 6 CFR 5.5(e).

Thank you,

Andrew Free
#DetentionKills Transparency Initiative
Al Otro Lado

The requested documents will be made available to the general public, and this request is not being made for commercial purposes.

In the event that there are fees, I would be grateful if you would inform me of the total charges in advance of fulfilling my request. I would prefer the request filled electronically, by e-mail attachment if available or CD-ROM if not.

Thank you in advance for your anticipated cooperation in this matter. I look forward to receiving your response to this request within 20 business days, as the statute requires.

Sincerely,

Andrew Free

From: United States Customs and Border Protection

This message is to confirm your request submission to the FOIAonline application: View Request. Request information is as follows: (https://foiaonline.gov/foiaonline/action/public/submissionDetails?trackingNumber=CBP-2022-072754&type=request)

* Tracking Number: CBP-2022-072754
* Requester Name:
Andrew Free
* Date Submitted: 05/02/2022
* Request Status: Submitted
* Description:
To Whom It May Concern:

Pursuant to the Freedom of Information Act, I hereby request the following records:

In recent years, your agency FOIA Office has required FOIA requestors to access agency records using a government-created password that is unique to the file containing responsive documents. The FOIA Office accomplishes this either through requiring FOIA requestors to utilize a 6-8 character password delivered by a second or separate communication.

Practically speaking, this doubles the number of communications the agency must generate in turning over responsive documents, and prevents widespread public dissemination of the records by restricting their access only to the requestor receiving the password. Your agency is thus doubling the work it does at one point of the FOIA response process while reducing significantly the transmissibility of the public records it provides. This is occurring at a time when multi-year backlogs and court orders plague timely access to vital information about the agency’s function.

All of this would be understandable and unavoidable if Congress required such actions. But it did not. The Freedom of Information Act and DHS’s FOIA regulations contain no language requiring public records to be password-protected. See 5 USC 552, and 6 CFR 5.1 et seq. Indeed, these authorities arguably prohibit such actions, because they constitute a conversion of the records from their original format into one constituting a completely new, password-protected document.

Please provide any agency record documenting: (a) the legal authority from which your FOIA Office claims it derives the power to place non-exempt public records responsive to FOIA requests into a password-protected document.

(b) the Standard Operating Procedure used by your FOIA Office to assign non-exempt records a password.

(c) any contract materials with any third-party reflecting monies paid by your agency to outside contractors for password-protecting FOIA documents.

(d) any record reflecting the total time FOIA Office personnel dedicated during FY20, FY21 and FY22 (to date) to password-protecting records.

(e) any governing policy denoting when password protection is appropriate, and when it is not.

Because your agency’s FOIA Office suffers from longstanding, unabated backlogs and extended, multi-year processing times of the kind expressly condemned by Congress in amending the FOIA, because your agency’s password protection practice appears to have no basis in law, and because this practice represents a potential obstacle to every FOIA requestor, including those seeking expedited processing, this policy impacts the substantial due process rights of requestors, and raises serious questions as to your Office’s capacity to discharge its obligations under the law, threatening public confidence in its functioning, we respectfully request expedited processing pursuant to 6 CFR 5.5(e).

Thank you,

Andrew Free
#DetentionKills Transparency Initiative
Al Otro Lado

The requested documents will be made available to the general public, and this request is not being made for commercial purposes.

In the event that there are fees, I would be grateful if you would inform me of the total charges in advance of fulfilling my request. I would prefer the request filled electronically, by e-mail attachment if available or CD-ROM if not.

Thank you in advance for your anticipated cooperation in this matter. I look forward to receiving your response to this request within 20 business days, as the statute requires.

Sincerely,

Andrew Free

Upload documents directly: https://www.muckrock.com/

From: United States Customs and Border Protection

Your request for Expedited Processing for the FOIA request CBP-2022-072754 has been
denied.

* Expedited Processing Original Justification:
Because your agency’s FOIA Office suffers from longstanding, unabated backlogs and extended, multi-year processing times of the kind expressly condemned by Congress in amending the FOIA, because your agency’s password protection practice appears to have no basis in law, and because this practice represents a potential obstacle to every FOIA requestor, including those seeking expedited processing, this policy impacts the substantial due process rights of requestors, and raises serious questions as to your Office’s capacity to discharge its obligations under the law, threatening public confidence in its functioning, we respectfully request expedited processing pursuant to 6 CFR 5.5(e).
* Expedited Processing Disposition Reason:
Does not meet DHS requirements

From: United States Customs and Border Protection

CBP-2022-072754 has been processed with the following final disposition: No Records.

From: Andrew Free

Thank you for your prompt response. I hereby appeal the adequacy of this search.

From: United States Customs and Border Protection

The FOIA
appeal
- CBP-AP-2022-105931 has been supplemented with additional supporting files. Additional details for this item are as follows:

* Tracking Number: CBP-AP-2022-105931
* Requester: Andrew Free
* Submitted Date: 07/18/2022
* Description:
appeals adequacy of search

From: United States Customs and Border Protection

Andrew Free:
Your letter dated May 4, 2022, was received in this office on July 13, 2022, wherein you appeal FOIA Division's determination under tracking number CBP-2022-072754. The tracking number for your appeal is CBP-AP-2022-105931 which will be assigned to a member of the Appeals Office for processing.
Sincerely,

Lynette Carter, FOIA Appeals

From: United States Customs and Border Protection

Please log into your FOIA Online account to access your appellate decision. Thank you.

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