DJL Restaurant Corp. v. Department of BuildingsDJL Restaurant Corp. v. Department of Buildings
Orders, Supreme Court, New
Respondent Department of Buildings partially denied, claiming statutory exemptions (see, Public Officers Law § 87 [2]), petitioner’s FOIL requests seeking various types of documents regarding enforcement of new zoning restrictions. An administrative appeal ensued, pursuant to which additional documents were disclosed, including some prepared after the FOIL request. However, respondent continued to claim that internally generated handwritten notes relating to the zoning amendment, and lists of establishments intended for enforcement, were exempt. Additional FOIL requests followed, seeking all subsequently prepared records. The present CPLR article 78 proceeding ensued, in which petitioner seeks production of the demanded records, or a particularized justification for denying the requests, issued on a document-by-document basis, including a reasonable identification of the person who prepared the document, the addressee and each actual recipient thereof, and the title and a general summary of the contents of each document. In the alternative, petitioner seeks in camera review of the documents being withheld. The motion court organized the documents into eight different categories, correlating with statutory exemptions, found that the explanations were sufficiently particular to establish the validity of the exemptions, and upheld the agency’s action as to each category. The court also found that a document-by-document explanation for denial was unnecessary.
Under FOIL, any person may request and receive documents kept by a government agency unless they are statutorily exempted from disclosure (Matter of Citizens for Alternatives to Animal Labs v Board of Trustees,