Dear Professor Lamonica:
You have requested an opinion from our office on whether investigative/audit procedures performed by the LSU System in an effort to reduce fraudulent conduct is an exception to the accessibility of public records provided for in the Louisiana Constitution, Article
LSA R.S.
LSA R.S.
A public body may hold executive sessions upon an affirmative vote, taken at an open meeting for which notice has been given pursuant to R.S.
42:7 , of two-thirds of its constituent members present. An executive session shall be limited to matters allowed to be exempted from discussion at open meetings by R.S.42:6.1 ; however, no final or binding action shall be taken during an executive session. The vote of each member on the question of holding such an executive session and the reason for holding such an executive session shall be recorded and entered into the minutes of the meeting. Nothing in this Section of R.S.42:6.1 shall be construed to require that any meeting be closed to the public, nor shall any executive session be used as a subterfuge to defeat the purposes of R.S.42:4.1 through42:8 .
A public body may hold an executive session pursuant to R.S.
42:6 for one or more of the following reasons: (4) Investigative proceedings regarding allegations of misconduct.
If the LSU Board or one of its committees proceeds with the investigations through the use of executive sessions, Parent-CommunityAlliance for Quality Education, Inc. v. Orleans Parish School Board,
If the investigative information is collected outside of an executive session, it could become public record. The constitutional provision is construed liberally, in favor of the public. In Hilbun v. State ofLouisiana Through Division of Administration,
Based on the statutes and cases referenced above, it is the opinion of this office that the LSU Board or one of its committees or subcommittees could conduct interviews to investigate alleged fraudulent conduct in an executive session. As such, records of the proceedings would not qualify as public records. I believe the above should sufficiently answer your request. Should you need additional information please do not hesitate to contact this office.
Yours very truly,
RICHARD P. IEYOUB ATTORNEY GENERAL
______________________ CHARLES H. BRAUD, JR. Assistant Attorney General
RPI/CHB;jnp
Date Released: April 25, 2003
CHARLES H. BRAUD, JR.
Assistant Attorney General
