FOIA Request to OSTP on Fee Waiver and Expedited Processing

Re: Freedom of Information Act Request; Fee Waiver and Expedited Treatment Requested

To Whom it May Concern:

Pursuant to the Freedom of Information Act, 5 U.S.C. § 552, and 32 C.F.R. § 2402, the Chamber of Commerce of the United States of America (“Chamber”) hereby requests the following information:

All communications related to the “Blueprint for an AI Bill of Rights” (“Blueprint”)[1] between (a) any individual employed by, or communicating on behalf of, the Office of Science and Technology Policy, including any person using an email address with the domain, and (b) any individual employed by, or communicating on behalf of, the General Services Administration or the Office of Management and Budget, including any person using an email address associated with the domain or domains used by that office.

As used in this request, “communications” includes emails, email attachments, text messages, electronic chats, instant messages, encrypted or self-destructing messages, messages sent via Facebook messenger or other social media messaging services, text messages, voice messages, calendar invitations/entries, letters, memoranda, or other communication records. The timeframe for the Chamber’s request is November 23, 2020 (the start of the presidential transition period) to the present.

I further request that the FOIA officer responsible for the processing of this request issue an immediate hold on all records responsive, or potentially responsive, to this request, so as to prevent their disposal until such time as a final determination has been issued on the request and any administrative remedies for appeal have been exhausted.

In an effort to facilitate document review, please provide the responsive documents in electronic form in lieu of a paper production. If a certain portion of responsive records can be produced more readily, I request that those records be produced first and the remaining records be produced on a rolling basis as circumstances permit.

Fee Waiver Request

The Chamber requests a fee waiver because disclosure of this information is in the public interest, as it is likely to contribute significantly to public understanding of the operations or activities of the government. The public has a significant interest in understanding the implementation of the Blueprint, which the White House declared was “developed through extensive consultation with … U.S. government agencies” and “includes concrete steps which governments, companies, communities, and others can take” toward the White House’s preferred policy preferences. (“Blueprint Announcement”).

The request seeks information that “concern[s] identifiable operations or activities of the Federal Government” and is “likely to contribute significantly to public understanding of [those] operations or activities,” 32 C.F.R. §§ 2402.10(a), (a)(1), because the request seeks detailed information relating to the implementation of a recently announced White House policy that the White House stated immediately resulted in “actions across the Federal government” to “advance the Blueprint.” Blueprint Announcement (emphasis omitted). The request will increase public understanding of the Federal Government’s operations and activities because it seeks records detailing how the Federal Government is communicating among agencies and departments about implementation of the Blueprint and its role in the procurement process, information that is not already in the public domain. 32 C.F.R. § 2402.10(a)(2)(i). And that disclosure will “contribute to the understanding of a reasonably broad audience of persons interested in the subject” and not just the understanding of the Chamber or a narrow segment of interested persons, 32 C.F.R. § 2402.10(a)(2)(ii), because the Chamber frequently disseminates the results of its FOIA requests to the public and will do so here, and because there is already significant public interest in the issuance and implementation of the Blueprint. See, e.g., Skye Witley, AI ‘Bill of Rights’ Principles Posited by Biden Policy Team, Bloomberg Law (Oct. 4, 2022); White House Releases Guidance on AI, National Law Journal (Nov. 10, 2022); What Biden’s Top A.I. Thinker Concluded We Should Do, New York Times (Apr. 11, 2023),

This request further qualifies for a fee waiver because the request is not in the commercial interest of the Chamber. 32 C.F.R. § 2402.10(a)(3). The Chamber is a non-profit organization organized under Section 501(c)(6) of the Internal Revenue Code. Disclosure of this information is not primarily in the Chamber’s commercial interest because the Chamber has no commercial, trade, or profit interest in the information. 32 C.F.R. § 2402.10(a)(3)(i); see also 32 C.F.R. § 2402.3(c)(3). Instead, the Chamber seeks to use this information to educate itself and the public about the White House’s and the Federal Government’s ongoing activities. The White House’s and Federal Government’s activities affect a broad swath of the United States economy and business entities across the country—many of whom are members of the Chamber. The disclosure of these documents will allow the Chamber, its members, and the public to better understand the White House’s and Federal Government’s recent and future activities and the potential impact of these actions. If this request for a fee waiver is denied, the Chamber is willing to pay fees up to $2,500.

Expedited Processing Request

The Chamber requests the expedited processing of this request because of the urgent need for expedited release of these records to inform the public about Federal Government activity. 32 C.F.R. § 2402.6(d)(2)(ii). The Chamber’s primary purpose in requesting these records is to disseminate time-sensitive information about the White House’s and Federal Government’s activities. The Chamber’s mission involves disseminating information—to both its membership and the public—regarding economic issues in the United States, especially as they relate to the Federal Government. The Chamber regularly publicly discloses the results of its FOIA requests online, which it would do with these records as well.

It is urgent that these records be made available to inform the public concerning the federal government’s activities. 32 C.F.R. § 2402.6(d)(2)(ii). The White House has already announced myriad actions that agencies across the Executive Branch are taking to “advance the Blueprint,” and the White House has further announced that the Blueprint will be used to craft further executive action “[w]here law or policy does not already provide guidance.” Blueprint Announcement (emphasis omitted). The requested records are significant to informing the public about the actions already taken pursuant to the Blueprint and further actions that could arise imminently from the Blueprint, including whether the Blueprint is playing a role in federal procurement, especially given the Blueprint’s avowed purpose to guide further executive action. Additionally, for companies and other members of the public attempting to comply with the Blueprint and its initiatives, the requested information is crucial for them to order their affairs and protect their rights at the present time. Likewise, the government’s procurement activities are of critical importance to the public, as the government is entrusted with the public fisc for those transactions and owes transparency to the public regarding the conditions it places on those funds. The Blueprint claims that it is addressing one of the “great challenges posed to democracy,” and the public is entitled to expedited access to the records regarding that claim.

By signing this request, I certify that the explanation why there is an urgent need for the requested records is true and correct to the best of my knowledge. 32 C.F.R. § 2402.6(d)(3).

* * *

Federal law requires that the Office of Science and Technology Policy produce these records within twenty (20) business days or, in unusual circumstances, within thirty (30) business days. See 5 U.S.C. § 552(a)(6)(A)-(B); see also 32 C.F.R. §§ 2402.6(b)–(c). If the Chamber’s request is denied in whole or in part, please justify all denials by reference to specific exemptions under the FOIA.

If you have any questions about this request, please contact me by email. Thank you for your prompt attention to this matter.


Jordan Crenshaw
Vice President                                           
Chamber Technology Engagement Center
U.S. Chamber of Commerce