PCHB231006473

PCHBPollution Control Hearings Board of the State of Washington

Northwest Regional Office. I have personal knowledge of the matters contained herein and I am competent to testify thereto. 2. We periodically receive public disclosure requests from the Airport Communities Coalition (ACC) for documents pertaining to the Port of Seattle's proposal to expand Seattle-Tacoma International Airport (STIA). In response to these requests, I gather all documents that I have responsive to the requests and review them to determine if there is any material that may be withheld from disclosure under the Public Disclosure Act. 3. If I identify documents that are non-disclosable, it is my practice to withhold those from disclosure, or redact non-disclosable portions, and to identify the documents as ¢_ DECLARATION OF RAY HELLWIG IN 1 ATTORNEYGENERALOFWASHINGTON Ecology Division SUPPORT OF MOTION TO STRIKE POBox40117 Olympia, WA 98504-0117 FAX (360) 586-6760 < 10/09/01 14:17 FAX 42S 649 7098 DEPT OF ECOLOGY 425 649 7898 _003 0CT-09-200I TIE 02:18 PH2 F_X NO, 3fi0 i 8758 P, 03 wid_held from disclosure on a log that we maintain of such documents. I certify that attached hereto as Ex]dbit ] is a true and co:rect copy of our log of documcms wifl_held from diselosure. W_ typically withhold from di_losute all documents that are attorney-client privileged. 4, In this case, I inadvertently disclosed to the ACC pursuant to a public disclosure request at least one document eontainhag attorney-client privileged material. This document, which I understand has been quoted by ACC in its pleadings, is a briefing paper I g prepared for a senior…
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