PA Dept. of Revenue v. M. Haverstick (OOR)

CourtCommonwealth Court of Pennsylvania
DecidedJanuary 9, 2025
Docket295 C.D. 2024
StatusPublished

This text of PA Dept. of Revenue v. M. Haverstick (OOR) (PA Dept. of Revenue v. M. Haverstick (OOR)) is published on Counsel Stack Legal Research, covering Commonwealth Court of Pennsylvania primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
PA Dept. of Revenue v. M. Haverstick (OOR), (Pa. Ct. App. 2025).

Opinion

IN THE COMMONWEALTH COURT OF PENNSYLVANIA

Pennsylvania Department of Revenue, : Petitioner : : v. : No. 295 C.D. 2024 : Argued: December 9, 2024 Matthew Haverstick (Office of Open : Records), : Respondent :

BEFORE: HONORABLE RENÉE COHN JUBELIRER, President Judge HONORABLE CHRISTINE FIZZANO CANNON, Judge (P.) HONORABLE MARY HANNAH LEAVITT, Senior Judge

OPINION BY PRESIDENT JUDGE COHN JUBELIRER FILED: January 9, 2025

The Pennsylvania Department of Revenue (Department) petitions for review of a Final Determination of the Office of Open Records (OOR), granting the administrative appeal of Matthew Haverstick (Requester) from Department’s denial in part of a request made under the Right-to-Know Law (RTKL)1 and ordering that Department produce a spreadsheet containing weekly lottery sales data by retailer (Weekly Lottery Data). Upon careful review, we agree with OOR that the Weekly Lottery Data is disclosable under the RTKL and, therefore, we affirm.

I. BACKGROUND A. The RTKL Request On October 9, 2023, Requester submitted a request under the RTKL (Request) to Department, which stated:

1 Act of February 14, 2008, P.L. 6, 65 P.S. §§ 67.101-67.3104. In the Report titled “Pennsylvania ‘Skill Machines’ and Lottery Revenue Impact Analysis Methodology and Results 2023 Update,” Sci[entific] Games[2] analyzed weekly lottery sales at the retailer level as a function of number of skill games (or presence of skill games). Therefore, a single file should already exist that has weekly lottery sales for each retailer and how many skill games are present at that location. Please provide that file.

(Reproduced Record (R.R.) at 7a.) Department determined that there was one record responsive to the RTKL Request, an excel spreadsheet (Spreadsheet), which included 17 separate columns of information, including one column listing the Weekly Lottery Data and one column indicating the number of skill games at the retailer’s location.3 (Id. at 142a-43a.) By letter dated November 16, 2023, Department produced the Spreadsheet but redacted the information listed in the Weekly Lottery Data column. (Id. at 58a, 142a- 43a.) Department explained release of the Weekly Lottery Data

could result in a loss of state funds by the Lottery, and result in a substantial and demonstrable risk of physical harm to the personal security of individuals located at the lottery retailers’ locations . . . [and r]eleasing the amount of money held by a retailer at a given time makes that retailer a potential target for crime and financial loss to both the retailer and the Commonwealth.

(Id. at 58a.) On December 4, 2023, Requester filed an administrative appeal with OOR, seeking disclosure of the Weekly Lottery Data. (Id. at 1a-2a.)

2 As discussed more fully below, Scientific Games is a contractor hired by Department. 3 Specifically, the Spreadsheet contained the following columns: Area, District, Retailer Number, Location Name, Street Address, City, Zip, County, Games of Skill, Week, Facings, Instant Sales (i.e., the Weekly Lottery Sales), Total Games, Average Days in Market, Video Gaming Terminal (VGT) Count, Time, and Days between. (R.R. at 142a-43a.)

2 B. OOR’s Final Determination In the administrative appeal, based on the submissions from the parties, OOR considered, in pertinent part, whether the Weekly Lottery Data was exempt from disclosure under Section 708(b)(1)(i) (State Funds exception), Section 708(b)(1)(ii) (Personal Security exception), Section 708(b)(6)(i)(A) (Personal Financial Information exception), or Section 708(b)(11) (Trade Secret and Confidential Proprietary Information exception) of the RTKL.4

4 Section 708(b)(1), (6), and (11) provides, in relevant part:

(b) Exceptions.--Except as provided in subsections (c) and (d), the following are exempt from access by a requester under this act:

(1) A record, the disclosure of which:

(i) would result in the loss of Federal or State funds by an agency or the Commonwealth; or

(ii) would be reasonably likely to result in a substantial and demonstrable risk of physical harm to or the personal security of an individual. ....

(6)(i) The following personal identification information:

(A) A record containing all or part of a person’s Social Security number, driver’s license number, personal financial information, home, cellular or personal telephone numbers, personal e-mail addresses, employee number or other confidential personal identification number.

....

(11) A record that constitutes or reveals a trade secret or confidential proprietary information.

65 P.S. § 67.708(b)(1), (6), (11).

3 In support of its position, Department submitted a position statement, and five attestations from various Department and Lottery employees.5 Specifically, in the position statement, Department argued that redaction of the Weekly Lottery Data was proper, reiterating that disclosure would result in loss of state funds, disclosure would reasonably likely result in substantial demonstrable risk of physical harm to lottery retailers, the Weekly Lottery Data contained personal financial information, and disclosure would reveal information protected by trade secret and confidential proprietary information. (R.R. at 31a-50a.) Through a letter brief, Requester argued that Department did not meet its burden establishing any of the operative statutory exceptions under Section 708(b). (Id. at 126a-30a.) Requester further asserted that Department failed to justify its denial via an appropriate affidavit or exemption log, as required by OOR’s Procedural Guidelines, and requested in camera review of the Weekly Lottery Data if Department satisfies this burden. (Id. at 130a-32a.) On February 16, 2024, OOR issued its Final Determination, granting Requester’s administrative appeal and ordering that Department produce the full, unredacted Spreadsheet. (Final Determination at 17.) Upon review of the materials submitted by the parties and through an extensive analysis of Section 708 of the RTKL, 65 P.S. § 67.708, OOR determined that the Weekly Lottery Data was not exempt from disclosure under any of the asserted statutory exceptions enumerated in Section 708(b). OOR analyzed each exception in turn.

5 These items appear in the Reproduced Record at pages 21a through 123a. The attestations were from Anthony Lupino, Department’s Deputy Agency Open Records Officer; Drew Svitko, Executive Director of the Pennsylvania State Lottery; Dan Coyne, Deputy Executive Director of Administration and Finance for the Pennsylvania State Lottery; Eric Grubbs, Deputy Executive Director for Sales for the Pennsylvania State Lottery; and Stephanie Weyant Fidler, Deputy Executive Director for Marketing and Product Development of the Pennsylvania State Lottery.

4 First, OOR determined that the Weekly Lottery Data was not exempt under the State Funds exception, 65 P.S. § 67.708(b)(1)(i). Relying on Central Dauphin School District v. Hawkins, 199 A.3d 1005 (Pa. Cmwlth. 2018) (Hawkins I), vacated, 662 Pa. 22 (2020), and Pennsylvania Liquor Control Board v. Burns (Pa. Cmwlth., No. 1159 C.D. 2019, filed June 16, 2020),6 OOR reasoned that “[a]gencies must demonstrate that [] disclosure . . . will result in an actual loss of funding, rather than a potential loss,” and speculative affidavits proffered by a party regarding possible future loss cannot satisfy an agency’s burden under Section 708(b)(1)(i). (Id.

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PA Dept. of Revenue v. M. Haverstick (OOR), Counsel Stack Legal Research, https://law.counselstack.com/opinion/pa-dept-of-revenue-v-m-haverstick-oor-pacommwct-2025.