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Kumpf Charsley & Hansen, LLC 9635 Maroon Circle Attorneys At Law 6 230 : Colorado Resident Partner of Penney. lewood. Colorado 80112 ae hes Galbraith, Eslinger & Brannen LLP Scott D. Kumpf, Esq. Fax (Toll Pree): 1-866-557-1561 Divet Dial: 720-479-8001 ww keh-law.com, E-mail: cou@celaw.com May 12, 2014 ReportSee, Ine. c/o Mr. Mark Drane 1701 Shallcross Avenue Suite E Wilmington, Delaware 19806 Mr. Clayton S. Marsh 3 High Street B Ipswich, MA 01938 Re: FOIA and State Public Records Requests Concerning Bair Analytics, Inc. Dear Mr. Drane and Mr. Marsh: This office represents Bair Analytics, Inc. (“BAIR”). Recently we have become aware of a number of Freedom of Information Act (“FOIA”) requests or requests made under similar state public records access statutes to various public agencies that Bair Analytics, Ine. (“BAIR”) has contractual arrangements with. These requests have specifically targeted information about BAIR and have included requests for copies of BAIR’s contract with the specific agency, copies of any written communications, including e-mails, internal communications regarding BAIR’s work for the agency, billings, ete... We believe such requests are being interposed by BAIR’s competitors (including SpotCrime.com, wholly owned by ReportSee, Inc.) for inappropriate and potentially unlawful purposes (i.e. to obtain otherwise confidential and proprietary information for purposes of unfairly competing with BAIR). Moreover, the information sought by these requests is likely exempt from disclosure pursuant to Exemption 4 of FOIA (5 U.S.C. § 552 (b)(4)). At least one of these requests originated from SpotCrime.com and at least one request originated in Mr. Marsh’s office. We are investigating as to whether any other similar requests have recently been sent to agencies with which our client has an existing contractual relationship. If either of you, either directly for yourself or for a client, is involved in these improper and potentially illegal requests, demand is made that you immediately cease and desist such activity. Failure to do so will leave BAIR no alternative but to protect its interests through litigation which it is fully prepared to do if necessary. Please advise this office by no later than May 30, 2014 of your intention to honor these demands or, alternatively, why you believe that BAIR’s information about your involvement in these activities and requests is inaccurate. Having not heard from you by that date, BAIR will consider and take all appropriate action, including as necessary filing suit, to protect its interests. I look forward to your response. Sincerely, Sah Scott D. Kumpf, Esq, Kumpf, Charsley & Hansen LLC Ce: Mr, Sean Bair

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