[nfb-talk] another lawful request under ada/504 denied
joe harcz
michiganadapt at peoplepc.com
Fri Aug 11 11:47:24 CDT 2006
It is a legitimate request for accessible information that has not been met
to this very day.
Joe Harcz
----- Original Message -----
From: <dianefilipe at peoplepc.com>
To: "NFB Talk Mailing List" <nfb-talk at nfbnet.org>
Sent: Friday, August 11, 2006 12:18 PM
Subject: Re: [nfb-talk] another lawful request under ada/504 denied
This worries me...is it legit? I saw one before much like this that was a
scam...
Diane
-------Original Message-------
From: joe harcz
Date: 8/9/2006 9:11:50 PM
To: NFB Talk Mailing List
Cc: john.l.wodatch at usdoj.gov
Subject: [nfb-talk] another lawful request under ada/504 denied
January 13, 2005
Paul Joseph Harcz, Jr.
1365 E. Mt. Morris Rd.
Mt. Morris, MI
48458
E-mail:
mailto:michiganadapt at peoplepc.com
michiganadapt at peoplepc.com
Re: Official request for public information in accessible format
Mark Maurer, JD
President, National Federation of the Blind, Inc.
(Also dba Blind Federation of America.)
EIN: 02-0259978
1800 Johnson St.
Baltimore, MD 21230
Via e-mail: officeofthepresident at nfb.org
Dear President Maurer,
I am writing you today to officially request information that should be
available to the public under a variety of laws and should be made available
to people who are blind in accessible formats, upon request.
Specifically, I am requesting all schedules of your organization's IRS Form
990(s) for NFB's last three fiscal years. In addition, I'm requesting all
minutes of NFB's Board of Director meetings for the past three fiscal years.
As a legally blind person I am requesting this information in accessible
format. Specifically, I am requesting that this information is remitted to
me as either Word or plain text documents and sent to me via either e-mail
attachment or enclosure to the e-mail address listed above.
As you undoubtedly know NFB is a Title III entity under the meaning of the
law (Americans with Disabilities Act of 1990) as it engages in commerce and
operates educational programs.
Moreover, it is subject to obligations under Section 504 of the
Rehabilitation Act of 1973 as it is a recipient of copious federal funds
including substantial infusion of funding from the U.S. Department of
Education, U.S. Department of Labor and the U.S. Department of Housing and
Urban Development just to name a few. Thus it is obligated to follow the
"auxiliary aids and services" requirements of that act.
Moreover, such a large recipient of federal funds should be transparent in
the public interest precisely as to how those federal funds are employed.
This is a simple matter of public accountability of an organization
employing public funds.
I would appreciate a written and accessible response to this inquiry within
three (3) working days.
As an additional aside I've yet to receive any information related to a
similar request made to your person regarding the activities of the American
Action Fund for Blind Children and Adults. I would have thought that an
individual who secures almost $100,000 per year from such a high profile and
again federally funded entity as AAF would be a little bit more responsive
to such a request for information especially as you are paid as a General
Counsel.
Regardless, if I can be of assistance in meeting the bottom line here please
do not hesitate in writing me.
Sincerely,
Paul Joseph Harcz, Jr.
Cc: file
Fw: Internal Revenue Service
Fw: U.S. Department of Justice
Fw: Several Attorneys at Law
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