[Code of Federal Regulations]
[Title 41, Volume 3]
[Revised as of January 1, 2007]
From the U.S. Government Printing Office via GPO Access
[CITE: 41CFR102-3.175]

[Page 30-34]
 
           TITLE 41--PUBLIC CONTRACTS AND PROPERTY MANAGEMENT
 
               CHAPTER 102--FEDERAL MANAGEMENT REGULATION
 
PART 102	3_FEDERAL ADVISORY COMMITTEE MANAGEMENT--Table of Contents
 
    Subpart D_Advisory Committee Meeting and Recordkeeping Procedures
 
Sec.  102-3.175  What are the reporting and recordkeeping requirements 

for an advisory committee?

    (a) Presidential advisory committee follow-up report. Within one 
year after a Presidential advisory committee has submitted a public 
report to the President, a follow-up report required by section 6(b) of 
the Act must be prepared and transmitted to the Congress detailing the 
disposition of the advisory committee's recommendations. The Secretariat 
shall assure that these reports are prepared and transmitted to the 
Congress as directed by the President, either by the President's 
delegate, by the agency responsible for providing support to a 
Presidential advisory committee, or by the responsible agency or 
organization designated in the charter of the Presidential advisory 
committee pursuant to Sec.  102-3.75(a)(10). In performing this 
function, GSA may solicit the assistance of the President's delegate, 
the Office of Management and Budget (OMB), or the responsible agency 
Committee Management Officer (CMO), as appropriate. Reports shall be 
consistent with specific guidance provided periodically by the 
Secretariat.
    (b) Annual comprehensive review of Federal advisory committees. To 
conduct an annual comprehensive review of each advisory committee as 
specified in section 7(b) of the Act, GSA requires Federal agencies to 
report information on each advisory committee for which a charter has 
been filed in accordance with Sec.  102-3.70, and which is in existence 
during any part of a Federal fiscal year. Committee Management Officers 
(CMOs), Designated Federal Officers

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(DFOs), and other responsible agency officials will provide this 
information by data filed electronically with GSA on a fiscal year 
basis, using a Governmentwide shared Internet-based system that GSA 
maintains. This information shall be consistent with specific guidance 
provided periodically by the Secretariat. The preparation of these 
electronic submissions by agencies has been assigned interagency report 
control number (IRCN) 0304-GSA-AN.
    (c) Annual report of closed or partially-closed meetings. In 
accordance with section 10(d) of the Act, advisory committees holding 
closed or partially-closed meetings must issue reports at least 
annually, setting forth a summary of activities and such related matters 
as would be informative to the public consistent with the policy of 5 
U.S.C. 552(b).
    (d) Advisory committee reports. Subject to 5 U.S.C. 552, 8 copies of 
each report made by an advisory committee, including any report of 
closed or partially-closed meetings as specified in paragraph (c) of 
this section and, where appropriate, background papers prepared by 
experts or consultants, must be filed with the Library of Congress as 
required by section 13 of the Act for public inspection and use at the 
location specified Sec.  102-3.70(a)(3).
    (e) Advisory committee records. Official records generated by or for 
an advisory committee must be retained for the duration of the advisory 
committee. Upon termination of the advisory committee, the records must 
be processed in accordance with the Federal Records Act (FRA), 44 U.S.C. 
Chapters 21, 29-33, and regulations issued by the National Archives and 
Records Administration (NARA) (see 36 CFR parts 1220, 1222, 1228, and 
1234), or in accordance with the Presidential Records Act (PRA), 44 
U.S.C. Chapter 22.

    Appendix A to Subpart D of Part 102-3--Key Points and Principles

    This appendix provides additional guidance in the form of answers to 
frequently asked questions and identifies key points and principles that 
may be applied to situations not covered elsewhere in this subpart. The 
guidance follows:

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 Key points and principles       Section(s)                   Question(s)                       Guidance
----------------------------------------------------------------------------------------------------------------
I. With some exceptions,    102-3.140, 102-      1. Must all advisory committee and    A. No. Advisory committee
 advisory committee          3.145(a), 102-       subcommittee meetings be open to      meetings may be closed
 meetings are open to the    3.155                the public?                           when appropriate, in
 public                                                                                 accordance with the
                                                                                        exemption(s) for closure
                                                                                        contained in the
                                                                                        Government in the
                                                                                        Sunshine Act, 5 U.S.C.
                                                                                        552b(c). (i)
                                                                                        Subcommittees that
                                                                                        report to a parent
                                                                                        advisory committee, and
                                                                                        not directly to a
                                                                                        Federal officer or
                                                                                        agency, are not required
                                                                                        to open their meetings
                                                                                        to the public or comply
                                                                                        with the procedures in
                                                                                        the Act for announcing
                                                                                        meetings. (ii) However,
                                                                                        agencies are cautioned
                                                                                        to avoid excluding the
                                                                                        public from attending
                                                                                        any meeting where a
                                                                                        subcommittee develops
                                                                                        advice or
                                                                                        recommendations that are
                                                                                        not expected to be
                                                                                        reviewed and considered
                                                                                        by the parent advisory
                                                                                        committee before being
                                                                                        submitted to a Federal
                                                                                        officer or agency. These
                                                                                        exclusions may run
                                                                                        counter to the
                                                                                        provisions of the Act
                                                                                        requiring
                                                                                        contemporaneous access
                                                                                        to the advisory
                                                                                        committee deliberative
                                                                                        process.
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II. Notices must be         102-3.150            1. Can agencies publish a single      A. Yes, agencies may
 published in the Federal                         Federal Register notice announcing    publish a single notice
 Register announcing                              multiple advisory committee           announcing multiple
 advisory committee                               meetings?                             meetings so long as
 meetings                                                                               these notices contain
                                                                                        all of the information
                                                                                        required by Sec.   102-
                                                                                        3.150. (i) ``Blanket
                                                                                        notices'' should not
                                                                                        announce meetings so far
                                                                                        in advance as to prevent
                                                                                        the public from
                                                                                        adequately being
                                                                                        informed of an advisory
                                                                                        committee's schedule.
                                                                                        (ii) An agency's Office
                                                                                        of General Counsel
                                                                                        should be consulted
                                                                                        where these notices
                                                                                        include meetings that
                                                                                        are either closed or
                                                                                        partially closed to the
                                                                                        public.
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III. Although certain       102-3.170            1. May an agency require the use of   A. No. Section 10(b) of
 advisory committee                               its internal FOIA procedures for      FACA provides that:
 records may be withheld                          access to advisory committee          Subject to section 552
 under the Freedom of                             records that are not exempt from      of title 5, United
 Information Act (FOIA),                          release under FOIA?                   States Code, the
 as amended, 5 U.S.C. 552,                                                              records, reports,
 agencies may not require                                                               transcripts, minutes,
 the use of FOIA                                                                        appendixes, working
 procedures for records                                                                 papers, drafts, studies,
 available under section                                                                agenda, or other
 10(b) of FACA                                                                          documents which were
                                                                                        made available to or
                                                                                        prepared for or by each
                                                                                        advisory committee shall
                                                                                        be available for public
                                                                                        inspection and copying
                                                                                        at a single location in
                                                                                        the offices of the
                                                                                        advisory committee or
                                                                                        the agency to which the
                                                                                        advisory committee
                                                                                        reports until the
                                                                                        advisory committee
                                                                                        ceases to exist. (i) The
                                                                                        purpose of section 10(b)
                                                                                        of the Act is to provide
                                                                                        for the contemporaneous
                                                                                        availability of advisory
                                                                                        committee records that,
                                                                                        when taken in
                                                                                        conjunction with the
                                                                                        ability to attend
                                                                                        advisory committee
                                                                                        meetings, provide a
                                                                                        meaningful opportunity
                                                                                        to comprehend fully the
                                                                                        work undertaken by the
                                                                                        advisory committee. (ii)
                                                                                        Although advisory
                                                                                        committee records may be
                                                                                        withheld under the
                                                                                        provisions of FOIA if
                                                                                        there is a reasonable
                                                                                        expectation that the
                                                                                        records sought fall
                                                                                        within the exemptions
                                                                                        contained in section
                                                                                        552(b) of FOIA, agencies
                                                                                        may not require members
                                                                                        of the public or other
                                                                                        interested parties to
                                                                                        file requests for non-
                                                                                        exempt advisory
                                                                                        committee records under
                                                                                        the request and review
                                                                                        process established by
                                                                                        section 552(a)(3) of
                                                                                        FOIA. (iii) Records
                                                                                        covered by the
                                                                                        exemptions set forth in
                                                                                        section 552(b) of FOIA
                                                                                        may be withheld. An
                                                                                        opinion of the Office of
                                                                                        Legal Counsel (OLC),
                                                                                        U.S. Department of
                                                                                        Justice concludes that:
                                                                                        FACA requires disclosure
                                                                                        of written advisory
                                                                                        committee documents,
                                                                                        including predecisional
                                                                                        materials such as
                                                                                        drafts, working papers,
                                                                                        and studies. The
                                                                                        disclosure exemption
                                                                                        available to agencies
                                                                                        under exemption 5 of
                                                                                        FOIA for predecisional
                                                                                        documents and other
                                                                                        privileged materials is
                                                                                        narrowly limited in the
                                                                                        context of FACA to
                                                                                        privileged ``inter-
                                                                                        agency or intra-agency''
                                                                                        documents prepared by an
                                                                                        agency and transmitted
                                                                                        to an advisory
                                                                                        committee. The language
                                                                                        of the FACA statute and
                                                                                        its legislative history
                                                                                        support this restrictive
                                                                                        application of exemption
                                                                                        5 to requests for public
                                                                                        access to advisory
                                                                                        committee documents.
                                                                                        Moreover, since an
                                                                                        advisory committee is
                                                                                        not itself an agency,
                                                                                        this construction is
                                                                                        supported by the express
                                                                                        language of exemption 5
                                                                                        which applies only to
                                                                                        inter-agency or intra-
                                                                                        agency materials. (iv)
                                                                                        Agencies first should
                                                                                        determine, however,
                                                                                        whether or not records
                                                                                        being sought by the
                                                                                        public fall within the
                                                                                        scope of FACA in
                                                                                        general, and section
                                                                                        10(b) of the Act in
                                                                                        particular, prior to
                                                                                        applying the available
                                                                                        exemptions under FOIA.
                                                                                        (See OLC Opinion 12 Op.
                                                                                        O.L.C. 73, dated April
                                                                                        29, 1988, which is
                                                                                        available from the
                                                                                        Committee Management
                                                                                        Secretariat (MC),
                                                                                        General Services
                                                                                        Administration, 1800 F
                                                                                        Street, NW., Washington,
                                                                                        DC 20405-0002.)
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IV. Advisory committee      102-175(e)           1. How must advisory committee        A. In order to ensure
 records must be managed                          records be treated and preserved?     proper records
 in accordance with the                                                                 management, the
 Federal Records Act                                                                    Committee Management
 (FRA), 44 U.S.C. Chapters                                                              Officer (CMO),
 21, 29-33, and                                                                         Designated Federal
 regulations issued by the                                                              Officer (DFO), or other
 National Archives and                                                                  representative of the
 Records Administration                                                                 advisory committee, in
 (NARA) (see 36 CFR parts                                                               coordination with the
 1220, 1222, 1228, and                                                                  agency's Records
 1234), or the                                                                          Management Officer,
 Presidential Records Act                                                               should clarify upon the
 (PRA), 44 U.S.C. Chapter                                                               establishment of the
 22                                                                                     advisory committee
                                                                                        whether its records will
                                                                                        be managed in accordance
                                                                                        with the FRA or the PRA.
                                                                                       B. Official records
                                                                                        generated by or for an
                                                                                        advisory committee must
                                                                                        be retained for the
                                                                                        duration of the advisory
                                                                                        committee. Responsible
                                                                                        agency officials are
                                                                                        encouraged to contact
                                                                                        their agency's Records
                                                                                        Management Officer or
                                                                                        NARA as soon as possible
                                                                                        after the establishment
                                                                                        of the advisory
                                                                                        committee to receive
                                                                                        guidance on how to
                                                                                        establish effective
                                                                                        records management
                                                                                        practices. Upon
                                                                                        termination of the
                                                                                        advisory committee, the
                                                                                        records must be
                                                                                        processed in accordance
                                                                                        with the FRA and
                                                                                        regulations issued by
                                                                                        NARA, or in accordance
                                                                                        with the PRA.
                                                                                       C. The CMO, DFO, or other
                                                                                        representative of an
                                                                                        advisory committee
                                                                                        governed by the FRA, in
                                                                                        coordination with the
                                                                                        agency's Records
                                                                                        Management Officer, must
                                                                                        contact NARA in
                                                                                        sufficient time to
                                                                                        review the process for
                                                                                        submitting any necessary
                                                                                        disposition schedules of
                                                                                        the advisory committee's
                                                                                        records upon
                                                                                        termination. In order to
                                                                                        ensure the proper
                                                                                        disposition of the
                                                                                        advisory committee's
                                                                                        records, disposition
                                                                                        schedules need to be
                                                                                        submitted to NARA no
                                                                                        later than 6 months
                                                                                        before the termination
                                                                                        of the advisory
                                                                                        committee.
                                                                                       D. For Presidential
                                                                                        advisory committees
                                                                                        governed by the PRA, the
                                                                                        CMO, DFO, or other
                                                                                        representative of the
                                                                                        advisory committee
                                                                                        should consult with the
                                                                                        White House Counsel on
                                                                                        the preservation of any
                                                                                        records subject to the
                                                                                        PRA, and may also confer
                                                                                        with NARA officials.
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