[Code of Federal Regulations]

[Title 36, Volume 3]

[Revised as of July 1, 2005]

From the U.S. Government Printing Office via GPO Access

[CITE: 36CFR404.6]



[Page 41-43]

 

              TITLE 36--PARKS, FORESTS, AND PUBLIC PROPERTY

 

            CHAPTER IV--AMERICAN BATTLE MONUMENTS COMMISSION

 

PART 404_PROCEDURES AND GUIDELINES FOR COMPLIANCE WITH THE FREEDOM OF 

INFORMATION ACT--Table of Contents

 

Sec. 404.6  Definitions.



    For the purpose of these regulations:

    (a) All the terms defined in the Freedom of Information Act apply.

    (b) A statute specifically providing for setting the level of fees 

for particular types of records (5 U.S.C. 552(a)(4)(A)(vi)) means any 

statute that specifically requires a government agency, such as the 

Government Printing Office (GPO) or the National Technical Information 

Service (NTIS), to set the level of fees for particular types of 

records, in order to:

    (1) Serve both the general public and private sector organizations 

by conveniently making available government information;

    (2) Ensure that groups and individuals pay the cost of publications 

and other services that are for their special use so that these costs 

are not borne by the general taxpaying public;

    (3) Operate an information dissemination activity on a self-

sustaining basis to the maximum extent possible; or

    (4) Return revenue to the Treasury for defraying, wholly or in part, 

appropriated funds used to pay the cost of disseminating government 

information.Statutes, such as the User Fee Statute, which only provide a 

general discussion of fees without explicitly requiring that an agency 

set and collect fees for particular documents do not supersede the 

Freedom of Information Act under section (a)(4)(A)(vi) of that statute.



[[Page 42]]



    (c) The term direct costs means those expenditures that ABMC 

actually incurs in searching for and duplicating (and in the case of 

commercial requesters, reviewing) documents to respond to a FOIA 

request. Direct costs include, for example, the salary of the employee 

performing work (the basic rate of pay for the employee plus 16 percent 

of that rate to cover benefits) and the cost of operating duplicating 

machinery. Not included in direct costs are overhead expenses such as 

costs of space, and heating or lighting the facility in which the 

records are stored.

    (d) The term search means the process of looking for and retrieving 

records or information responsive to a request. It includes page-by-page 

or line-by-line identification of information within records and also 

includes reasonable efforts to locate and retrieve information from 

records maintained in electronic form or format. ABMC employees should 

ensure that searching for material is done in the most efficient and 

least expensive manner so as to minimize costs for both the agency and 

the requester. For example, employees should not engage in line-by-line 

search when merely duplicating an entire document would prove the less 

expensive and quicker method of complying with a request. Search should 

be distinguished, moreover, from review of material in order to 

determine whether the material is exempt from disclosure (see paragraph 

(f) of this section).

    (e) The term duplication means the making of a copy of a document, 

or of the information contained in it, necessary to respond to a FOIA 

request. Such copies can take the form of paper, microform, audio-visual 

materials, or electronic records (e.g., magnetic tape or disk), among 

others. The requester's specified preference of form or format of 

disclosure will be honored if the record is readily reproducible in that 

format.

    (f) The term review refers to the process of examining documents 

located in response to a request that is for a commercial use (see 

paragraph (g) of this section) to determine whether any portion of any 

document located is permitted to be withheld. It also includes 

processing any documents for disclosure, e.g., doing all that is 

necessary to excise them and otherwise prepare them for release. Review 

does not include time spent resolving general legal or policy issues 

regarding the application of exemptions.

    (g) The term commercial use request refers to a request from or on 

behalf of one who seeks information for a use or purpose that furthers 

the commercial, trade, or profit interests of the requester or the 

person on whose behalf the request is made. In determining whether a 

requester properly belongs in this category, ABMC must determine the use 

to which a requester will put the documents requested. Moreover, where 

an ABMC employee has reasonable cause to doubt the use to which a 

requester will put the records sought, or where that use is not clear 

from the request itself, the employee should seek additional 

clarification before assigning the request to a specific category.

    (h) The term educational institution refers to a preschool, a public 

or private elementary or secondary school, an institution of graduate 

higher education, an institution of undergraduate higher education, an 

institution of professional education, or an institution of vocational 

education, that operates a program or programs of scholarly research.

    (i) The term non-commercial scientific institution refers to an 

institution that is not operated on a commercial basis (as that term is 

referenced in paragraph (g) of this section), and that is operated 

solely for the purpose of conducting scientific research the results of 

which are not intended to promote any particular product or industry.

    (j) The term representative of the news media refers to any person 

actively gathering news for an entity that is organized and operated to 

publish or broadcast news to the public. The term news means information 

that is about current events or that would be of current interest to the 

public. Examples of news media entities include television or radio 

stations broadcasting to the public at large, and publishers of 

periodicals (but only in those instances when they can qualify as 

disseminators of news) who make their products available for purchase or 

subscription



[[Page 43]]



by the general public. These examples are not intended to be all-

inclusive. Moreover, as traditional methods of news delivery evolve 

(e.g., electronic dissemination of newspapers through telecommunications 

services), such alternative media would be included in this category. In 

the case of freelance journalists, they may be regarded as working for a 

news organization if they can demonstrate a solid basis for expecting 

publication through that organization, even though not actually employed 

by it. A publication contract would be the clearest proof, but ABMC may 

also look to the past publication record of a requester in making this 

determination.