Gates Package — page 696
of 1375 pages
← p.695 p.697 → · this page in the original PDF · package
of operations or activities of the government."20 The public has a significant interest in
the federal government's response to the SARS-CoV-2 virus and COVID-19.
CHD is committed to transparency and makes the responses agencies provide to FOIA
requests publicly available, and the public's understanding of the government's activities
would be enhanced through CHD's analysis and publication of these records.
This request is primarily and fundamentally for non-commercial purposes.21 As a
501(c)(3) nonprofit, CHD does not have a commercial purpose and the release of the
information requested is not in the organization's financial interest.
The mission of CHD is to work tirelessly to end the childhood health epidemics by
working to expose causes, eliminate harmful exposures, hold those responsible
accountable, seek justice for those injured, and establish safeguards to prevent future
harm.
CHD uses the information gathered, and its analysis of it, to educate the public through
reports, press releases, or other media. The organization also makes materials it
gathers available on its public website22 and newsletter and promotes their availability
on social media platforms, such as Facebook23 and Twitter.24
CHD has also demonstrated its commitment to the public disclosure of documents and
creation of editorial content through numerous articles and analyses posted to its news
website.25
Accordingly, CHD qualifies for a fee waiver.
Expedited Processing
CHD requests expedited processing of this request. FOIA provides for "expedited
processing of requests for records" upon a showing of a "compelling need." 5 U.S.C. §
552(a)(6)(E)(i)(II). When the person requesting the information is "primarily engaged in
disseminating information, urgency to inform the public concerning actual or alleged
Federal Government activity" constitutes a "compelling public need" for expedited
processing. § 552(a)(6)(E)(v)(II).
CHD is an organization made up of public health professionals, medical professionals,
lawyers, scientists and journalists. CHD exists for the purpose of disseminating public
25 See The Defender https://childrenshealthdefense.org/defender/.
24 See https://twitter.com/ChildrensHD
23 See https://www.facebook.com/ChildrensHealthDefense
22 See Children's Health Defense https://childrenshealthdefense.org/.
21 Id.
20 See 5 U.S.C. § 552(a)(4)(A)(iii).
This is our OCR of the page, with running headers and footers removed. The
Committee's PDF
is authoritative; quote from it. Machine-readable, including the uncleaned
text: /api/page/gates/696
Records on this page
| Record | Date | Type | Pages |
|---|---|---|---|
| gates:exh:00254 | — | attachment | 696 |