mikkelsen fundraising letter docs pg. 2

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  • 8/3/2019 Mikkelsen Fundraising Letter Docs Pg. 2

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    Missouri Sunshine Law Request submitted 3/16/09Dear Records Custodian:,Pursuant to the provisions of Chapter 610, RSMo, this letter is written to you, as custodian of records for your various department or office, to request documents from the files of your office or any other documents in your custody, control, or possession. "Document" or "Documents" means all versions of all copies of any written, recorded or graphic matter, however produced, reproduced, or fixed in a tangible medium of expression, including but not limited to, correspondence, facsimile transmissions, telegrams, "post-its", notes or recordings, deleted or undeleted e-mails, any attachments to any e-mails or correspondence, any instant messages (sent or received), tape recordings, electro-magnetic or other media, any presentations (whether paper or electronic), of any type of personal or telephone conversations, ' any audio or video files, or of any meetings or conferences, minutes of meetings, memoranda, intraoffice or interoffice communications, records, studies, tables, charts, drafts, analyses, reports, results of investigations, evaluations, reviews, contracts, agreements, working papers, statistical records, ledgers, books of account, vouchers, bank checks, invoices, receipts, -- ' ......iSrH'. -- - - w m ~ a t " , ai1,liiqiRr:lid im.. g ~ ' 1 , . , t o 9 r . p l : l i Q.i" tuxt, fi' Qr.prir.tQub., ~ t i I ~ ~ . t l .... ____- -_notebooks, desk calendars, appointment books, daybooks, diaries, photographs (digital or film),any pictures saved or downloaded, sound or video recordings, summaries, pamphlets,compilations, tabulations, or paper similar to any of the foregoing, however denominated andregardless of where located, and includes all matter that relates in whole or in part to the subjectsreferred to in any document request. The term "document" shall also include the files in whichany documents are maintained, including file jackets, and related exhibit tabs or folders in whichany documents are filed or maintained. If a document exists in multiple or counterpart copies, oradditional copies have been made, and the copies are not identical (or which, by reason ofsubsequent modification are no longer identical), each non-identical copy is a separate"document."Request for CopiesBy this letter, I am requesting copies of the following documents:1. All documents including, but not limited to, deleted or undeleted emails, whichreference the Campaign for Liberty or the Liberty Restoration Project or Ron Paul or ChuckBaldwin or Bob Barr;2. All documents relating to the determination that the Campaign for Liberty or theLiberty Restoration Project or Ron Paul or Chuck Baldwin or Bob Barr may somehow beconnected to militia;

    _ _ 3 ~ . All documents detailing processes for determining threats in the state of Missouri;4. A I I d O c u ~ ~ ~ s - r e l ~ t e d t ; - C a m p a i g ~ for Liberty or Liberty Restoration Project .." . -activities or partiCipants in your possession;If any portion of these document requests is denied, I am hereby requesting a written statement of the grounds for such denial, including a citation to the specific provision of law under which access is denied. 610.023.4, 'RSMo. Time is of the essence. This request is made consistent with the holding in the cases of Christiansen v. Missouri State Board of Accountancy, 764 S.W.2d 943 and 764 S.W.2d 952 (Mo. App. 1988). Compliance with this document request should be made pursuant to 610.023.3, RSMo, for the documents described herein. Therefore, your response to this request is due by Wednesday, March 18, 2009. Please contact me at 816-868-8806 if you have any questions related to this request. Please contact me if any fees associated with the production of these documents will exceed $100. Sincerely, Catherine Bleish Executive Director Uberty Restoration Project 816-868-8806