Summary:
Citizens wanted access to University records dealing with biomedical research using cats and dogs.
These records were created, as required by federal Law, but access to the records was requested under state law.
According to the New York Freedom of Information Act (FOIL), documents held by an “agency” should be disclosed.
The lower Appellate Division held that s
ince the University did not fall under the definition of “agency" under New York Public Officers Law, it was not required to turn over such documents. The New York Court of Appeals, however, found that the Appellate Division's rationale for denying FOIL disclosure was inconsistent with precedent, and that the legislative goal behind FOIL of was liberal disclosure, limited only by narrowly circumscribed specific statutory exemptions. Thus, in reversing the Appellate Division's decision, the Court of Appeals held that the records were subject to disclosure.
Citizens wanted access to University records dealing with biomedical research using cats and dogs.
These records were created, as required by federal Law, but access to the records was requested under state law.
According to the New York Freedom of Information Act (FOIL), documents held by an “agency” should be disclosed.
The lower Appellate Division held that s
ince the University did not fall under the definition of “agency" under New York Public Officers Law, it was not required to turn over such documents. The New York Court of Appeals, however, found that the Appellate Division's rationale for denying FOIL disclosure was inconsistent with precedent, and that the legislative goal behind FOIL of was liberal disclosure, limited only by narrowly circumscribed specific statutory exemptions. Thus, in reversing the Appellate Division's decision, the Court of Appeals held that the records were subject to disclosure.