Chief FOIA Officer Report 2025
2025 Chief FOIA Officer Report Guidelines - Agencies Receiving More Than 50 Requests in Fiscal Year 2024
Section I: FOIA Leadership and Applying the Presumption of Openness
The guiding principle underlying the Attorney General’s 2022 FOIA Guidelines is the presumption of openness. The Guidelines also highlight the importance of agency leadership in ensuring effective FOIA administration. Please answer the following questions about FOIA leadership at your agency and describe the steps your agency has taken to ensure that the presumption of openness is being applied to all decisions involving the FOIA.
A. Leadership Support for FOIA
1. The FOIA requires each agency to designate a Chief FOIA Officer who is a senior official at least at the Assistant Secretary or equivalent level. See 5 U.S.C. § 552(j)(1) (2018). Is your agency’s Chief FOIA Officer at or above this level?
Yes, the SEC’s Chief FOIA Officer serves as the Director of the Office of Support Operations, a Senior Officer position at the SEC.
2. Please provide the name and title of your agency’s Chief FOIA Officer.
Olivier Girod, Director, Office of Support Operations.
3. What steps has your agency taken to incorporate FOIA into its core mission? For example, has your agency incorporated FOIA milestones into its strategic plan?
During Sunshine Week each year, the SEC’s Chair issues a notice to all SEC staff to commemorate National Freedom of Information Day. In 2024, the Chair emphasized the importance of transparency and openness in government functioning and commended the SEC’s FOIA professionals for their dedication in processing nearly 10,000 requests.
B. Presumption of Openness
4. The Attorney General’s 2022 FOIA Guidelines provides that “agencies should confirm in response letters to FOIA requesters that they have considered the foreseeable harm standard when reviewing records and applying FOIA exemptions.” Does your agency provide such confirmation in its response letters?
Yes.
5. In some circumstances, agencies may respond to a requester that it can neither confirm nor deny the existence of requested records if acknowledging the existence of records would harm an interested protected by a FOIA exemption. This is commonly referred to as a Glomar response. If your agency tracks Glomar responses, please provide:
the number of times your agency issued a full or partial Glomar response during Fiscal Year (FY) 2024 (separate full and partial if possible);
The SEC issued either a full or partial Glomar response on 140 occasions during the reporting period.
the number of times a Glomar response was issued by exemption during FY 2024 (e.g., Exemption 7(C) – 20 times, Exemption 1 – 5 times).
The SEC tethered its Glomar responses to the following:
- Exemption 6 in three (3) instances.
- Exemptions 6 and 7(C) in 135 instances.
- Exemptions (b)(3), (b)(6) and (b)(7)(C) in two (2) instances.
6. Optional -- If there are any other initiatives undertaken by your agency to ensure that the presumption of openness is being applied, please describe them here.
Section II: Ensuring Fair and Effective FOIA Administration
The Attorney General’s 2022 FOIA Guidelines provide that “[e]nsuring fair and effective FOIA administration requires…proper training, and a full understanding of FOIA obligations by the entire agency workforce.” The Guidelines reinforce longstanding guidance to “work with FOIA requesters in a spirit of cooperation.” The Attorney General also “urge[s] agency Chief FOIA Officers to undertake comprehensive review of all aspects of their agency’s FOIA administration” as part of ensuring fair and effective FOIA administration.
A. FOIA Training
1. The FOIA directs agency Chief FOIA Officers to ensure that FOIA training is offered to agency personnel. See 5 U.S.C. § 552(a)(j)(2)(F). Please describe the efforts your agency has undertaken to ensure proper FOIA training is made available and used by agency personnel.
The FOIA Office provides mandatory in-house training each year to all FOIA professionals covering a range of topics including emerging issues in FOIA administration and judicial decisions as well as refresher topics. Specific topics covered during this reporting period included:
- Steps to take when processing a new request
- Determining what processing track to use
- Conducting an adequate search
- Closing out a request
- Review of FOIA Exemptions 4, 5, 6, 7(A), 7(C), 7(E), and 8
- Foreseeable harm standard
- Use of the Glomar response
- Use of the (c)(1) exclusion
- How to perform research in internal databases
- Review of specific types of internal records
- Email searches and review
- Best practices and reminders
SEC FOIA professionals were also encouraged to attend outside training, such as that offered by the Department of Justice.
2. Did your FOIA professionals or the personnel at your agency who have FOIA responsibilities attend substantive FOIA training during the reporting period such as that provided by the Department of Justice?
Yes.
3. If yes, please provide a brief description of the type of training attended or conducted and the topics covered.
- Whistleblower Confidentiality Under FOIA
- SEC’s Annual FOIA training
- Refinitiv Workspace Training
- OFS Training on Protecting Nonpublic Information
- OFS Annual FOIA Liaison Training
- Training offered by the Office of Information Policy, U.S. Department of Justice
- DOJ OIP Exemption 4 and Exemption 5 Training
- DOJ OIP Advanced FOIA Training
- Privacy Considerations Training
- Administrative Appeals, FOIA Compliance, and Customer Service Training
- Continuing FOIA Education Training
- FOIA Advisory Committee Meeting
- Chief FOIA Officers Council Meeting
- NexGen FOIA Tech Showcase 2.0
- National FOIA Portal Contributors Meeting
4. Please provide an estimate of the percentage of your FOIA professionals and staff with FOIA responsibilities who attended substantive FOIA training during this reporting period.
100% of the SEC’s full-time FOIA staff attended substantive FOIA training.
5. OIP has directed agencies to “take steps to ensure that all of their FOIA professionals attend substantive FOIA training at least once throughout the year.” If your response to the previous question is that less than 80% of your FOIA professionals attended training, please explain your agency’s plan to ensure that all FOIA professionals receive or attend substantive FOIA training during the next reporting year.
N/A
6. Describe any efforts your agency has undertaken to inform non-FOIA professionals of their obligations under the FOIA. In particular, please describe how often and in what formats your agency provides FOIA training or briefings to non-FOIA staff; and if senior leaders at your agency received a briefing on your agency’s FOIA resources, obligations and expectations during the FOIA process?
SEC FOIA liaisons within the components of the SEC are required to annually review the SEC’s “FOIA and Privacy Act Request Processing Guidance for Liaisons.” This guidance is posted to the SEC’s intranet and describes the basic processes and procedures for FOIA liaisons and other SEC staff so that they might better assist the FOIA office in processing requests. Revisions are periodically made to the guidance to address changing law and OIP guidance.
Newly appointed SEC FOIA liaisons are required to review the SEC’s “FOIA and Privacy Act Request Processing Guidance for Liaisons” and certify completion. Additionally, the FOIA Office provided training to all SEC FOIA Liaisons, which included a brief FOIA overview and discussion of the various FOIA obligations shared by all SEC employees and contractor personnel. The training also highlighted the important role that FOIA liaisons play in the process and their specific responsibilities.
The SEC’s Chief FOIA Officer and Chief Operating Officer are regularly briefed on the SEC’s resources, and expectations related to FOIA processing. Further, the SEC’s FOIA Officer will provide briefings to newly appointed SEC Commissioners and other senior executives on the FOIA program at the SEC and the importance of leadership support.
All staff across the SEC are encouraged to contact FOIA Office staff for any FOIA related issues or questions. To provide accessible FOIA training to all SEC employees, the SEC’s eLearning platform has available the following interactive FOIA training modules that were developed by the Office of Information Policy:
- Freedom of Information Act Training for Executives – A 15-minute course that provides a basic overview of the FOIA and explains how this law impacts agency leaders. Topics covered include an overview of the FOIA, proactive disclosure, reporting and accountability, and FOIA resources and support.
- Freedom of Information Act Training for Federal Employees – A 1-hour course that provides a primer on the FOIA and explains how employees can assist the agency in FOIA administration. Topics covered include who can make a request, the FOIA's time limits, and searching for responsive records.
- Freedom of Information Act Training for FOIA Professionals – An in-depth course designed specifically for FOIA professionals and addressing all of the major procedural and substantive requirements of the law. Topics covered include receiving and acknowledging FOIA requests, statutory protections for sensitive information, working in a spirit of cooperation, and providing good customer service.
In addition, the eLearning platform offers a module that was jointly developed by the Office of the Whistleblower, the Office of the General Counsel, and the FOIA Office: Whistleblower Confidentiality Under FOIA. This training is meant to instruct SEC staff how to: (1) better identify records containing whistleblower-identifying information, and (2) mitigate the inherent risks associated with transmitting and processing such records in response to FOIA requests.
B. Outreach
7. As part of the standard request process, do your FOIA professionals proactively contact requesters concerning complex or voluminous requests in an effort to clarify or narrow the scope of the request so requesters can receive responses more quickly? Please describe any such outreach or dialogue and, if applicable, any specific examples.
Yes. For complex or voluminous requests, FOIA requesters are routinely contacted for clarification and to discuss narrowing the scope of the requests for more efficient processing. These discussions accomplish, among other things, identifying appropriate custodians, search terms, time frames, and particular offices and divisions which may have responsive records.
As an example of additional outreach, OFS staff discussed with a nonprofit, collaborative news site SEC handling of requests seeking exhibits to corporate filings. Records retention schedules and applicable exemptions were carefully explained. Further, OFS staff detailed the appeals process and referred them to FOIA response letters which provide comprehensive information for redress of questions/challenges to the initial process. In another instance, the FOIA Office worked with a frequent commercial requester in order to aggregate his requests for more efficient processing.
8. Outside of the standard request process or routine FOIA Liaison or FOIA Requester Service Center interactions, did your FOIA professionals engage in any outreach or dialogue, with the requester community or open government groups regarding your administration of the FOIA? For example, did you proactively contact frequent requesters, host FOIA-related conference calls with open government groups, or provide FOIA training to members of the public? Please describe any such outreach or dialogue and, if applicable, any specific examples of how this dialogue has led to improvements in your agency’s FOIA administration.
Throughout the reporting period FOIA Office staff consistently engaged the SEC FOIA requester community to process requests more efficiently. The FOIA Office routinely communicates with individual requesters, including media outlets, law firms, and open government organizations to discuss, among other things, the scope of their requests and agency search capabilities. These communications afford requesters an opportunity to understand the types of records falling under the Commission’s purview, the review process, confidentiality statutes, and the types of records and information that are generally released and withheld under FOIA.
9. The FOIA Improvement Act of 2016 requires additional notification to requesters about the services provided by the agency’s FOIA Public Liaison. Please provide an estimate of the number of times requesters sought assistance from your agency’s FOIA Public Liaison during Fiscal Year 2024 (please provide a total number or an estimate of the number for the agency overall).
Although the FOIA Office does not track this information, it is estimated that contact with SEC FOIA Public Liaisons occurred on ten (10) or fewer occasions. The FOIA Office includes an addendum page to response letters which notifies requesters of OGIS’s dispute resolution services and the services provided by agency FOIA Public Liaisons. Additionally, SEC FOIA Professionals comprise the SEC’s FOIA Requester Service Center and routinely receive inquiries for assistance from requesters regarding their requests or the FOIA in general.
C. Other Initiatives
10. Has your agency evaluated the allocation of agency personnel resources needed to respond to current and anticipated FOIA demands? If so, please describe what changes your agency has or will implement.
Yes. The FOIA Office management team is aware that monitoring and addressing FOIA staffing levels is of paramount importance to maintaining efficiency and ensuring compliance. Indeed, the FOIA Office continually assesses resource allocation and staff utilization based on FOIA demand and adjusts as necessary. At present, the FOIA Office has 29 full-time employees, including three Attorney-Advisors, who collectively handle the day-to-day operations and work of the FOIA Office. Further, the FOIA Office has 20 contractors who provide critical staff support to meet programmatic objectives.
11. How does your agency use data or processing metrics to ensure efficient management of your FOIA workload? For example, case management reports, staff processing statistics, etc. In addition, please specifically highlight any data analysis methods or technologies used.
The SEC relies upon quality control metrics that are constantly monitored and assessed. These metrics provide management with the necessary data to analyze trends and assess performance ensuring timely responses to requests for expedited processing and fee waivers, as well as simple and complex track requests. The FOIA Office generates monthly reports that include statistical analyses, which are compared and contrasted against prior reporting metrics. The FOIA Office management team continuously examines and analyzes the FOIA process at the SEC to improve efficiency and to ensure compliance.
12. The federal FOIA Advisory Committee, comprised of agency representatives and members of the public, was created to foster dialogue between agencies and the requester community, solicit public comments, and develop recommendations for improving FOIA administration. Since 2020, the FOIA Advisory Committee has issued a number of recommendations. Please answer the below questions:
- Is your agency familiar with the FOIA Advisory Committee and its recommendations?
The SEC is familiar with the FOIA Advisory Committee and its recommendations. An SEC manager regularly attends FOIA Advisory Committee meetings. Additionally, in 2021 an SEC staff member completed serving a term on the Committee. The FOIA Office monitors the FOIA Advisory Committee Dashboard and implements recommendations where practicable.
- Has your agency implemented any of its recommendations or found them to be helpful? If so, which ones?
OFS publishes searchable FOIA logs in Excel/CSV format, routinely reviews its FOIA-related technological and staffing capabilities, and makes commonly requested documents available outside of the FOIA process, including in publicly accessible online databases. The SEC has recently updated its webpage to include information for requesters about “Neither Confirm Nor Deny”/Glomar responses, to include a link to the Office of Government Information services website at OGIS Publishes Ombuds Observer on NCND/Glomar – The FOIA Ombuds.
13. Optional -- If there are any other initiatives undertaken by your agency to ensure fair and effective FOIA administration, please describe them here.
Section III: Proactive Disclosures
The Attorney General’s 2022 FOIA Guidelines emphasize that “proactive disclosure of information is…fundamental to the faithful application of the FOIA.” The Guidelines direct agencies to post “records online quickly and systematically in advance of any public request” and reiterate that agencies should post records “in the most useful, searchable, and open formats possible.”
1. Please describe what steps your agency takes to identify, track, and post (a)(2) proactive disclosures.
Opinions, pleadings, and orders are all posted to the SEC’s website from 1995 to the present. The website is regularly updated by each relevant program office with new items posted based on the actions of the program office(s). Similarly, administrative staff manuals, statements of policy and interpretations adopted by the SEC are also posted and intermittently updated by the appropriate program offices. The FOIA Office tracks instances where records have been requested three or more times so that they can be posted accordingly.
2. Does your agency post logs of its FOIA requests?
Yes. SEC FOIA logs are posted monthly.
- If so, what information is contained in the logs?
The following information is included: Request ID, Requester Name, Organization, Requester Category, Request Description, Requested Date, Received Date, Request Status, Closed Date and Final Disposition.
- Are they posted in CSV format? If not, what format are they posted in?
SEC FOIA logs are posted in CSV format.
- Please provide a link to the page where any FOIA logs are posted. If applicable, please provide component links.
SEC FOIA logs can be located at SEC.gov | FOIA Logs.
3. Provide examples of any material (with links) that your agency has proactively disclosed during the past reporting year, including records that have been requested and released three or more times in accordance with 5 U.S.C. § 552(a)(2)(D).
During the reporting period the SEC proactively posted records to the FOIA Office’s Frequently Requested Documents webpage at SEC.gov | Frequently Requested Documents. Records requested three or more times can also be found here. The following are examples of records proactively posted on the FOIA Office’s website:
- SEC.gov | Closed-End Fund Information
- SEC.gov | Chairman's Calendar
- SEC.gov | Company Information About Active Broker-Dealers
- SEC.gov | Commission Votes
- SEC.gov | Investment Management Data
- SEC.gov | EDGAR Log File Data Sets
- SEC.gov | Fails-to-Deliver Data
- SEC.gov | Business Development Company Report
4. Please provide a link (or component links, if applicable) where your agency routinely posts its frequently requested records.
The SEC posts its frequently requested records at SEC.gov | Frequently Requested Documents.
5. Beyond posting new material, is your agency taking steps to make the posted information more useful to the public, especially to the community of individuals who regularly access your agency’s website? If yes, please provide examples of such improvements, such as steps taken to post information in open and machine-readable formats. If not taking steps to make posted information more useful, please explain why.
The public may subscribe to RSS feeds at SEC.gov | RSS Feeds to be apprised of the most recent materials posted to the SEC website. The public may also sign up for email updates to the Frequently Requested Documents page.
The SEC also has a separate web page where high value data sets are available. SEC.gov | SEC and Markets Data. Descriptions of the most recently published data sets can be found on the SEC’s main web page. Individuals may sign up to receive SEC email updates as well. Additional data and research materials are made proactively available at SEC.gov | Data and Research.
In promoting proactive disclosures, the SEC’s FOIA logs are posted monthly. Many divisions and offices within the SEC make records available on their specific page of the SEC’s website.
The Office of Structured Disclosure (OSD), within the Division of Economic and Risk Analysis (SEC.gov | Office of Structured Disclosure), supports the SEC's efforts to make data accessible and easy to use. OSD works closely with other SEC Divisions and Offices to design data structuring approaches for required disclosures and supports the SEC’s data collections and data usage by designing taxonomies, validation rules, data quality assessments, and tools for conducting data analyses. OSD also works with investors, regulated entities, and the public to support the submission and use of structured data.
In addition, policy teams across Divisions take steps to structure existing collections of data, with the aim of incorporating open, machine-readable, and machine-actionable formats.
6. Does your proactive disclosure process or system involve any collaboration with agency staff outside the FOIA office, such as IT or data personnel? If so, describe this interaction.
Yes. For proactive disclosures made by the FOIA Office there is typically coordination with the Office of the Secretary for purposes of posting. In some instances, the FOIA Office will provide notice of disclosure to the SEC’s Office of Public Affairs for situational awareness. Additionally, where the FOIA Office is recommending proactive disclosure of certain records, there is collaboration with the program office that maintains the records. Depending on the nature of the records, the program office’s webpage may host the information – or the records may be posted to the FOIA Office webpage.
For example, specialized data may be hosted by the relevant office or division. This would include records on the SEC’s Division of Economic and Risk Analysis webpage at SEC.gov | DERA Data Library, which offers investors access to aggregated data from filings for research and analysis. The SEC’s Division of Investment Management’s Analytics Office makes similar records available at SEC.gov | Analytics Office.
7. Optional -- Please describe the best practices used to improve proactive disclosures and any challenges your agency faces in this area.
Section IV: Steps Take to Greater Utilize Technology
A key component of FOIA administration is using technology to make information available to the public and to gain efficiency in FOIA processing. The Attorney General’s 2022 FOIA Guidelines emphasize the importance of making FOIA websites easily navigable and complying with the FOIA.gov interoperability requirements. Please answer the following questions to describe how your agency is using technology to improve its FOIA administration and the public's access to information.
1. Has your agency reviewed its FOIA-related technological capabilities to identify resources needed to respond to current and anticipated FOIA demands?
Yes.
2. Please briefly describe any new types of technology your agency uses to support your FOIA program.
The FOIA Office utilizes FOIAXpress, an electronic document management and tracking system. This system is updated intermittently to account for anticipated FOIA issues and demands – and to simply make processing more efficient.
During the reporting period enhancements were made to the SEC’s FOIA website in collaboration with the SEC’s Office of Public Affairs in an effort to make the site more readily navigable and enrich the user experience.
3. Does your agency currently use any technology to automate record processing? For example, does your agency use machine learning, predictive coding, technology assisted review or similar tools to conduct searches or make redactions? If so, please describe and, if possible, estimate how much time and financial resources are saved since implementing the technology.
The FOIA Offices uses FOIAXpress to automate its record processing. Records are integrated into this platform and search and redact functions are employed. Upgrades are consistently implemented to this processing system. The FOIAXpress application undergoes regular updates to enhance current features and apply security patches.
4. OIP issued guidance in 2017 encouraging agencies to regularly review their FOIA websites to ensure that they contain essential resources and are informative and user-friendly. Has your agency reviewed its FOIA website(s) during the reporting period to ensure it addresses the elements noted in the guidance?
Yes.
5. Did all four of your agency's quarterly reports for Fiscal Year 2024 appear on FOIA.gov?
Yes.
6. If your agency did not successfully post all quarterly reports on FOIA.gov, please explain why and provide your agency’s plan for ensuring that such reporting is successful in Fiscal Year 2025.
N/A
7. The FOIA Improvement Act of 2016 requires all agencies to post the raw statistical data used to compile their Annual FOIA Reports. Please provide the link to this posting for your agency’s Fiscal Year 2023 Annual FOIA Report and, if available, for your agency’s Fiscal Year 2024 Annual FOIA Report.
Raw statistical data used to compile the SEC’s Fiscal Year 2023 Annual FOIA Report can be found on the FOIA Office’s webpage SEC.gov | SEC FOIA Reports at https://www.sec.gov/files/2023- foia-annual-report-raw-data.xlsx.
8. In February 2019, DOJ and OMB issued joint Guidance establishing interoperability standards to receive requests from the National FOIA Portal on FOIA.gov. Are all components of your agency in compliance with the guidance?
Yes.
9. Optional -- Please describe the best practices used in greater utilizing technology and any challenges your agency faces in this area.
Section V: Steps Taken to Remove Barriers to Access, Improve Timeliness in Responding to Requests, and Reduce Backlogs
The Attorney General’s 2022 FOIA Guidelines instruct agencies “to remove barriers to requesting and accessing government records and to reduce FOIA processing backlogs.” Please answer the following questions to describe how your agency is removing barriers to access, improving timeliness in responding to requests, and reducing FOIA backlogs.
A. Remove Barriers to Access
1. Has your agency established alternative means of access to first party requested records, outside of the typical FOIA or Privacy Act process?
No.
2. If yes, please provide examples. If no, please indicate why not. Please also indicate if you do not know.
Members of the public must file a Privacy Act request with the SEC to gain access to first party records. The SEC’s website allows for submission of first party requests. First party requests received by the SEC, whether for access, amendment or accounting, are assigned tracking numbers indicating that processing will be initiated under the Privacy Act. To the extent that the records are not exempt under the Privacy Act, access will be granted to a first party request. First party requests are processed under both the FOIA and the Privacy Act to provide maximum access to records.
3. Please describe any other steps your agency has taken to remove barriers to accessing government information.
The SEC accepts FOIA requests submitted in multiple ways to ensure that all requesters can access government information. Members of the public may submit FOIA requests via the SEC website, the Public Access Link, FOIA.gov, at the foiapa@sec.gov email address, via fax, or via paper mail. Further, the OFS website allows for electronic webform submission of first party verification of identity and third party release authorization.
B. Timeliness
4. For Fiscal Year 2024, what was the average number of days your agency reported for adjudicating requests for expedited processing? Please see Section VIII.A. of your agency's Fiscal Year 2024 Annual FOIA Report.
The SEC took an average of 5.09 days to adjudicate requests for expedited processing.
5. If your agency's average number of days to adjudicate requests for expedited processing was above ten calendar days, according to Section VIII.A. of your agency's Fiscal Year 2024 Annual FOIA Report, please describe the steps your agency will take to ensure that requests for expedited processing are adjudicated within ten calendar days or less.
N/A
6. Does your agency utilize a separate track for simple requests?
Yes.
7. If your agency uses a separate track for simple requests, according to Annual FOIA Report section VII.A, was the agency overall average number of days to process simple requests twenty working days or fewer in Fiscal Year 2024?
Yes. Simple track requests were processed in an average of 5.86 days.
8. If not, did the simple track average processing time decrease compared to the previous Fiscal Year?
N/A
9. Please provide the percentage of requests processed by your agency in Fiscal Year 2024 that were placed in your simple track. Please use the following calculation based on the data from your Annual FOIA Report: (processed simple requests from Section VII.C.1) divided by (requests processed from Section V.A.) x 100.
54.97% of the requests processed by the SEC in Fiscal Year 2024 were placed in the simple track.
10. If your agency does not track simple requests separately, was the average number of days to process all non-expedited requests twenty working days or fewer?
N/A
C. Backlogs
Backlogged Requests
11. If your agency had a backlog of requests at the close of Fiscal Year 2024, according to Annual FOIA Report Section XII.D.2, did that backlog decrease as compared with the backlog reported at the end of Fiscal Year 2023?
Yes.
12. If not, according to Annual FOIA Report Section XII.D.1, did your agency process more requests during Fiscal Year 2024 than it did during Fiscal Year 2023?
N/A
13. If your agency’s request backlog increased during Fiscal Year 2024, please explain why and describe the causes that contributed to your agency not being able to reduce its backlog. When doing so, please also indicate if any of the following were contributing factors:
- An increase in the number of incoming requests
- A loss of staff
- An increase in the complexity of the requests received (if possible, please provide examples or briefly describe the types of complex requests contributing to your backlog increase)
- Litigation
- Any other reasons – please briefly describe or provide examples when possible
N/A
14. If you had a request backlog, please report the percentage of requests that make up the backlog out of the total number of requests received by your agency in Fiscal Year 2024. Please use the following calculation based on data from your Annual FOIA Report: (backlogged requests from Section XII.A) divided by (requests received from Section V.A) x 100. This number can be greater than 100%. If your agency has no request backlog, please answer with “N/A.”
The percentage of requests that made up the backlog out of the total number of requests received by the SEC in FY2024 was 4.39%.
Backlogged Appeals
15. If your agency had a backlog of appeals at the close of Fiscal Year 2024, according to Section XII.E.2 of the Annual FOIA Report, did that backlog decrease as compared with the backlog reported at the end of Fiscal Year 2023?
The SEC had zero (0) backlogged appeals as of the end of the Fiscal Year from the current Annual Report.
16. If not, according to section XII.E.1 of the Annual FOIA Report, did your agency process more appeals during Fiscal Year 2024 than it did during Fiscal Year 2023?
N/A
17. If your agency’s appeal backlog increased during Fiscal Year 2024, please explain why and describe the causes that contributed to your agency not being able to reduce its backlog. When doing so, please also indicate if any of the following were contributing factors:
- An increase in the number of incoming appeals
- A loss of staff
- An increase in the complexity of the requests received (if possible, please provide examples or briefly describe the types of complex requests contributing to your backlog increase)
- Litigation
- Any other reasons – please briefly describe or provide examples when possible
N/A
18. If you had an appeal backlog please report the percentage of appeals that make up the backlog out of the total number of appeals received by your agency in Fiscal Year 2024. Please use the following calculation based on data from your Annual FOIA Report: (backlogged appeals from Section XII.A) divided by (appeals received from Section VI.A) x 100. This number can be greater than 100%. If your agency did not receive any appeals in Fiscal Year 2024 and/or has no appeal backlog, please answer with "N/A."
N/A
D. Backlog Reduction Plans
19. In the 2024 guidelines for Chief FOIA Officer Reports, any agency with a backlog of over 1000 requests in Fiscal Year 2023 was asked to provide a plan for achieving backlog reduction in the year ahead. Did your agency implement a backlog reduction plan last year? If so, describe your agency’s efforts in implementing this plan and note if your agency was able to achieve backlog reduction in Fiscal Year 2024?
N/A
20. If your agency had a backlog of more than 1,000 requests in Fiscal Year 2024, please explain your agency’s plan to reduce this backlog during Fiscal Year 2025.
N/A
E. Reducing the Age of Requests, Appeals, and Consultations
Ten Oldest Requests
21. In Fiscal Year 2024, did your agency close the ten oldest pending perfected requests that were reported in Section VII.E. of your Fiscal Year 2023 Annual FOIA Report?
No.
22. If no, please provide the number of these requests your agency was able to close by the end of the fiscal year, as listed in Section VII.E of your Fiscal Year 2023 Annual FOIA Report. If you had less than ten total oldest requests to close, please indicate that.
The SEC closed three (3) of its ten oldest requests.
23. Beyond work on the ten oldest requests, please describe any steps your agency took to reduce the overall age of your pending requests.
To reduce the overall age of pending requests, the FOIA Office employs best practices that include consistent and meaningful communication with requesters, conducting regular training for FOIA and non-FOIA staff, and collaborating with team members to devise plans for closing older requests. FOIA Office management consistently monitors the age of pending requests and takes steps to reengineer processes and address the human capital needed for making positive impacts on reducing the backlog.
Ten Oldest Appeals
24. In Fiscal Year 2024, did your agency close the ten oldest appeals that were reported pending in Section VI.C.5 of your Fiscal Year 2023 Annual FOIA Report?
Yes. The SEC closed 3 out of 3 appeals that were reported as pending in Section VI.C.(5). of its Fiscal Year 2023 Annual FOIA Report.
25. If no, please provide the number of these appeals your agency was able to close by the end of the fiscal year, as listed in Section VII.C.(5) of your Fiscal Year 2023 Annual FOIA Report. If you had less than ten total oldest appeals to close, please indicate that.
N/A
26. Beyond work on the ten oldest appeals, please describe any steps your agency took to reduce the overall age of your pending appeals.
The SEC’s Office of the General Counsel (OGC) processes all FOIA appeals. OGC staff emphasize completing FOIA appeals before the 20-day deadline. However, at times, adjudicating appeals can present complex issues that require further consultation with staff in other divisions and offices and review of voluminous documents. In these instances, OGC staff engage with the requester and provide meaningful updates regarding the status of their appeal.
Ten Oldest Consultations
27. In Fiscal Year 2024, did your agency close the ten oldest consultations that were reported pending in Section XII.C. of your Fiscal Year 2023 Annual FOIA Report?
Yes. The SEC closed 3 out of 3 consultations that were reported as pending in Section XII.C. of its Fiscal Year 2023 Annual FOIA Report.
28. If no, please provide the number of these consultations your agency was able to close by the end of the fiscal year, as listed in Section XII.C. of your Fiscal Year 2023 Annual FOIA Report. If you had less than ten total oldest consultations to close, please indicate that.
N/A
Additional Information Regarding Ten Oldest
29. If your agency did not close its ten oldest pending requests, appeals, or consultations, please explain why and provide a plan describing how your agency intends to close those “ten oldest” requests, appeals, and consultations during Fiscal Year 2025.
The FOIA Office continues to evaluate new technologies to improve current processes. It is anticipated that these efforts will act to address FOIA issues such as closing the “ten oldest” pending requests, appeals and consultations.
F. Additional Information about FOIA Processing
30. Were any requests at your agency the subject of FOIA litigation during the reporting period? If so, please describe the impact on your agency’s overall FOIA request processing and backlog. If possible, please indicate:
- The number and nature of requests subject to litigation
- Common causes leading to litigation
Any other information to illustrate the impact of litigation on your overall FOIA administration
Yes. There were 38 requests subject to litigation during the reporting period. The SEC’s Office of the General Counsel represents the SEC in all FOIA litigation. The FOIA Office is tasked with providing litigation support, which often includes review and production of records subject to court ordered deadlines.
The FOIA litigation process requires OFS staff to devote large amounts of time to tasks other than what is regularly required in processing FOIA requests. OFS staff must provide attorneys handling the litigation with factual information used for filing answers, status reports, motions for summary judgment, and other court filings. In addition, as attorneys negotiate settlements or agreements about how records are to be processed, OFS staff are often involved in the process to determine what is feasible and what issues might arise. Finally, as a result of court orders or agreements reached in litigation, OFS staff must devote time to processing the voluminous amounts of records at issue in litigation even if under OFS’s multi-track system, other requests should have been processed first.
SECTION VI: SUCCESS STORIES
The SEC’s Office of FOIA Services (OFS) delivered impressive results in FOIA administration this past year by significantly decreasing the FOIA backlog by an exceptional 42% while increasing the processing rate for responding to requests.
- Despite receiving approximately 14% more requests in FY 2024 as compared to FY 2023, OFS processed approximately 22% more requests in FY 2024 than in FY 2023.
- This increase in the processing rate resulted in a remarkable 42% reduction in the FOIA backlog from FY 2023 to FY 2024.
- Not only does this mark the first reduction in the FOIA backlog since FY 2020, but it is the largest backlog reduction at the SEC since FY 2016.
By instituting operational efficiencies aimed at improving timeliness, additional achievements have been accomplished in other key performance metrics, as evidenced by yearly improvements in processing times for simple and complex requests, as well as adjudications for expedited processing and fee waiver requests.
- For example, between FY 2019 and FY 2024 OFS’s average processing time for simple FOIA requests decreased from 16.89 days to 5.86 days.
- Similarly, the average processing time for complex FOIA requests decreased from 574 days in FY 2019 to 71.27 days in FY 2024.
- OFS also improved its average number of days to adjudicate requests for expedited processing from 5.43 days in FY 2019 to 5.09 days in FY 2024.
- Likewise, the average number of days to adjudicate fee waiver requests dropped from 3.27 days in FY 2019 to 2.56 days in FY 2024.
Additionally, OFS’s collaboration with the SEC’s Office of Information Technology’s (OIT) Enterprise Infrastructure Group has yielded positive results in FOIA search times.
- Specifically, in October 2023 OIT’s FOIA eDiscovery backlog consisted of 249 requests with an average wait time of 139 days for searches to be completed.
- In one year, between October 2023 and October 2024, the eDiscovery backlog was reduced by 184 requests – a 74% reduction – with the average wait time decreasing by approximately 75%.
The benefits derived from the achievements made by the SEC FOIA team’s unparalleled dedication and exceptional contributions in improving timeliness for responding to requests, ensures that the SEC continues to serve as an agency leader in FOIA administration.
Last Reviewed or Updated: Feb. 26, 2025