Smith Ex Rel. Smith Butz, LLC v. Pennsylvania Department of Environmental Protection

161 A.3d 1049, 2017 WL 1833472, 2017 Pa. Commw. LEXIS 181
CourtCommonwealth Court of Pennsylvania
DecidedMay 8, 2017
DocketK. Smith o.b.o. Smith Butz, LLC v. PA DEP - 1431 C.D. 2016
StatusPublished
Cited by23 cases

This text of 161 A.3d 1049 (Smith Ex Rel. Smith Butz, LLC v. Pennsylvania Department of Environmental Protection) 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
Smith Ex Rel. Smith Butz, LLC v. Pennsylvania Department of Environmental Protection, 161 A.3d 1049, 2017 WL 1833472, 2017 Pa. Commw. LEXIS 181 (Pa. Ct. App. 2017).

Opinion

OPINION BY

SENIOR JUDGE PELLEGRINI

Kendra Smith, on behalf of Smith Butz, LLC (Requester), petitions for review of a Final Determination of the Office of Open Records (OOR) denying in part her request to the Pennsylvania Department of Environmental Protection (DEP) for access to records relating to Core Laboratories d/b/a ProTeehnics, division of Core Laboratories, LP (ProTeehnics), under the Pennsylvania Right-to-Know Law (RTKL). 1

I.

On February 1, 2016, Requester submitted a RTKL request, later amended, 2 for all records held by the DEP relating to ProTeehnics, a business that performs drilling diagnostics using radioactive tracers. The request sought records related to ProTeehnics’ activities at all drill *1057 sites throughout the Commonwealth, including:

[Item 1] Any and all approvals, permits, licenses/licensures, applications for permits and/or licenses, reciprocity letters, reciprocity licenses, reciprocity agreements and/or reciprocity arrangements, including, but not limited to all licenses issued by the [DEP to Protechnics] for use, storage and possession of radioactive materials and/or other licensed material. Additionally, this request seeks any and all investigation reports, Notices of Violation(s), Consent Order and Agreement(s) issued to Protechnics by the PA DEP and/or between Protech-nics and the PA DEP for any and all work or services performed by Protech-nies at any natural gas well site in the Commonwealth of Pennsylvania. Included in this request is a request for copies of all Notices of Violation issued by the PA DEP to Protechnics, including but not limited to Notices of Violation dated 06/15/10, 1/28/10, 11/26/13, 09/13/13 and 10/14/13, Violation Numbers 677913, 677915, 677914, 682834, 682833, 682829, 682835 and all corresponding inspection reports, field notes and other related writings. Further, this request seeks any and all Consent Order and Agreements between the PA DEP and Pro-technics, including, but not limited to, Consent Orders and Agreements dated November 2, 2013 and November 2, 2010.
[Item 2] Additionally, this request includes a request for copies of all enforcement activity taken by the PA DEP against Protechnics, including but not limited to Enforcement ID Number 305057, 259202 and 263973, as well as all inspection reports completed by the PA DEP regarding Protechnics, including, but not limited to, Inspection ID Numbers 1891418, 1919964, 2147772, 2204156 and 2221258.
[Item 3] This request further seeks any and all Radioactive Tracer Well Site Agreements made between Protechnics and any well site operator(s) for each and every well traced in the Commonwealth of Pennsylvania that is or was submitted to the PA DEP, including, but not limited to, the April 7, 2013, Radioactive Tracer Well Site Agreement between Protechnics and a well operator. [Item 4] In addition to the above, this request seeks any and all notifications submitted to the PA DEP by Protech-nics or the associated operator or subcontractor regarding Protechnicsf] confirmation that licensed material, including, but not limited to, radioactive material, was returned to the surface at any well site in which Protechnics operated/performed work or services in the Commonwealth of Pennsylvania. [Item 5] Additionally, this request seeks any and all documents, correspondence, e-mails and any other communication(s) between Protechnics and the PA DEP and/or Range Resources and the PA DEP regarding Protechnics and any and all work/services performed in the Commonwealth of Pennsylvania by Protech-nics.
[Item 6] Further, this request seeks any and all MSDS/SDS (material data safety sheets and safety data sheets) in the possession of the PA DEP regarding any and all products utilized by Protech-nics at any well site in Pennsylvania, including, but not limited to, all MSDS/ SDS for Protechnics Radioactive Tracer Products, as well as any and all Chemical Frac Tracer (“CFT”) products, including, but not limited to, CFT 1000, CFT 1100, CFT 1200, CFT 1300, CFT 2000, CFT 2100, CFT 1900, CFT 1700.

(Reproduced Record (R.R.) at 3a-4a.)

Because the request was statewide in scope, the DEP tasked its Central Of *1058 fice as well as its Southeast, Northeast, Southcentral, Northcentral, Southwest and Northwest Regional offices to gather those documents that responded’ to the request. On February 8, 2016, the DEP invoked a 30-day extension. See Section 902(b) of the RTKL, 65 P.S. § 67.902(b). On March 9, 2016, 3 the DEP partially denied the RTKL request.

On-March 28, 2016, Requester appealed to the OOR, challenging the DEP’s denial and giving reasons why the records should be. released. The OOR then directed the DEP to notify any third parties that may be affected by the release of the documents of their right to participate in the appeal. See Section 1101(c) of the RTKL, 65 P.S. § 67.1101(c). Soon thereafter, Pro-Technics requested to participate in this appeal, and the OOR granted the request. The OOR then invited all parties to supplement the record. ■

The DEP then submitted a position statement along with ten affidavits 4 and privilege logs. 5 The DEP’s position statement contended that it was partially denying the RTKL request because the records were exempt under the Radiation Protection Act (RPA) 6 exception, the attorney-client privilege and/or the attorney work product doctrine, 7 as well as certain *1059 RTKL exceptions. 8

ProTechnics submitted a position statement contending that certain records were exempt from disclosure because they contain trade secrets and/or confidential proprietary information. See Section 708(b)(ll) of the RTKL, 65 P.S. § 67.708(b)(ll). In support thereof, Pro-Technics attached the sworn affidavit of Will Williams, the Director of U.S. Operations for ProTechnics.

On July 27, 2016, after reviewing the submissions of the parties, the OOR issued its final determination partially denying Requester’s appeal. The net effect is that the DEP was not required to release “all of the identified records in its privilege logs except for a small subset .of records regarding ProTechnics’ license information and limited information regarding gas well pads.” (DEP’s Brief at 8.) 9 Requester then filed this appeal in which she contends that the OOR erred in hot releasing the requested records for a number of reasons. 10

II.

Requester contends that under the DEP’s RPA regulation, she is entitled to its investigation reports for three separate incidents regarding well sites 11

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Cite This Page — Counsel Stack

Bluebook (online)
161 A.3d 1049, 2017 WL 1833472, 2017 Pa. Commw. LEXIS 181, Counsel Stack Legal Research, https://law.counselstack.com/opinion/smith-ex-rel-smith-butz-llc-v-pennsylvania-department-of-environmental-pacommwct-2017.