Barry Allen
818 243 1502
-----Original
Message-----
From: Varpetian, Lucy
[mailto:LVarpetian@ci.glendale.ca.us]
Sent:
To: ba@fieldworks.net
Subject: RE: CPRAR 32907 GFD OSHA
Mr.
Allen:
As
we have advised you in previous years, sections D, E and F of Form 300 have
been redacted per OSHA instruction to protect the privacy of the
employee.
Lucy Varpetian
Office of the
613 East Broadway,
Tel: 818-548-2080
Fax: 818-547-3402
CONFIDENTIAL
THIS MATERIAL IS SUBJECT TO THE ATTORNEY-CLIENT AND/OR THE ATTORNEY WORK PRODUCT PRIVILEGES. DO NOT DISCLOSE THE
CONTENTS HEREOF. DO NOT FILE WITH
PUBLICLY ACCESSIBLE RECORDS.
-----Original Message-----
From: Barry [mailto:ba@fieldworks.net]
Sent:
To: Varpetian, Lucy
Subject: RE: CPRAR 32907 GFD OSHA
I am requesting Items D, E &F from form 300. There
is no identifiable reason to redact that information.
Barry Allen
818 243 1502
-----Original Message-----
From: Varpetian, Lucy
[mailto:LVarpetian@ci.glendale.ca.us]
Sent:
To: ba@fieldworks.net
Cc: Kassakhian, Ardashes;
Buchanan, Rita
Subject: RE: CPRAR 32907 GFD OSHA
Mr. Allen:
Records responsive to your request below are
available for inspection in the office of the City Clerk.
Lucy Varpetian
Office of the
613 East Broadway,
Tel: 818-548-2080
Fax: 818-547-3402
-----Original Message-----
From: Barry [mailto:ba@fieldworks.net]
Sent:
To: Kassakhian, Ardashes;
Varpetian, Lucy; Buchanan, Rita
Subject: CPRAR 32907 GFD OSHA
|
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POB 11202,
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VIGILANCE leads to
ACCOUNTABILITY
Ardashes Kassakian,
City Clerk
613 E. Broadway
Email
RE: Public Records Act Request Reference: 32907 GFD 2006 OSHA:
Pursuant to my rights under the California
Public Records Act (Government Code Section 6250 et seq.) and the California
Constitution, as amended by passage of Prop 59 on
Provide
Fire Department Injury Census for 2006 OSHA Reports
I ask for a determination on this request within
10 days of your receipt of it, and an even earlier reply if you can make that
determination without having to review the record(s) in question.
If you determine that any or all or the
information is exempt from disclosure, I ask that you reconsider that
determination in view of Prop 59, which has amended the state Constitution to
require that all exemptions be "narrowly construed." Prop 59 may
modify or overturn authorities on which you have relied in the past.
If you nonetheless determine that the requested
records are subject to a still-valid exemption, I would further request that:
(1) you exercise your discretion to disclose some or all of the records
notwithstanding the exemption; and (2) that, with respect to records containing
both exempt and non-exempt content, you redact the
exempt content and disclose the rest.
You must provide assistance by helping to
identify records and information relevant to the request and suggesting ways to
overcome any practical basis for denying access.
Finally, should you deny part or this entire request, you are required to provide a written response
describing the legal authority or authorities on which you rely. Please also
address the question whether Prop 59 requires disclosure even though
authorities predating Prop 59 may appear to support your exemption claim.
Records concerning litigation are exempt only
until the claim is resolved or settled. Upon disposition all records including
court records and those pre-dating the suit are public.
If I can provide any clarification that will
help expedite your attention to this request, please contact me at the number
above. I ask that you notify me of any duplication costs so that I may
decide which records I want copied.
I am sending a copy of this letter to your legal
advisor to help encourage a speedy determination, and I would likewise be happy
to discuss my request with him or his designee at any time.
Thank you for your time and attention to this
matter.
Sincerely,

Barry Allen