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"Freedom Of Information" Requests

ACPS Freedom of Information Requests

Rights & Responsibilities

The Rights of Requesters and the Responsibilities of the Albemarle County School Board under the Virginia Freedom of Information Act

The Virginia Freedom of Information Act (FOIA), located at § 2.2-3700 et seq. of the Code of Virginia, guarantees citizens of the Commonwealth of Virginia and representatives of the media that broadcast or have circulation in the Commonwealth access to public records held by public bodies, public officials, and public employees.

A public record is any writing or recording—regardless of whether it is a paper record, an electronic file, an audio or video recording, or any other format—that is prepared or owned by, or in the possession of a public body or its officers, employees or agents in the transaction of public business. All public records are presumed to be open, and may only be withheld if a specific, statutory exemption applies.

Virginia Code § 2.2-3700 states that the purpose of FOIA is to promote an increased awareness by all persons of governmental activities. In furthering this policy, FOIA requires that the law be interpreted liberally, in favor of access, and that any exemption allowing public records to be withheld must be interpreted narrowly.

Albemarle County School Board Policy reference: KBA, Freedom of Information Act Requests

FOIA Rights

  • Citizens have the right to request to inspect or receive copies of public records, or both.
  • Citizens have the right to request that any charges for the requested records be estimated in advance.
  • If a citizen believes that his or her FOIA rights have been violated, he or she may file a petition in district or circuit court to compel compliance with FOIA. Alternatively, he or she may contact the FOIA Advisory Council for a nonbinding advisory opinion.

Making a Request for Records from Albemarle County Public Schools (ACPS)

  • A citizen may request records by U.S. Mail, fax, e-mail, in person, or over the phone. FOIA does not require that the requestor state why he or she wants the records, or that the request be in writing, nor does the requestor need to specifically state that he or she is requesting records under FOIA.
    • From a practical perspective, it may be helpful to both the requestor and the person receiving the request for the requestor to put the request in writing. This allows a record of the request to be created. It also gives ACPS a clear statement of what records are being requested, so that there is no misunderstanding over a verbal request. However, ACPS cannot refuse to respond to a FOIA request if the requestor elects to not put it in writing.
  • The request must identify the records being sought with "reasonable specificity." This is a common-sense standard. It does not refer to or limit the volume or number of records being requested; instead, it requires that the requestor be specific enough so that ACPS can identify and locate the records being sought.
  • The request must be for existing records or documents. FOIA gives citizens a right to inspect or copy records; it does not apply to a situation where the requestor is asking general questions about the work of ACPS, nor does it require ACPS to create a record that does not exist.
  • The requestor may choose to receive electronic records in any format used by ACPS in the regular course of business.
    • For example, if a citizen is requesting records maintained in an Excel spreadsheet, the requestor may elect to receive those records electronically, via e-mail or on a computer disk, or to receive a printed copy of those records.
  • If ACPS has questions about the request, the requestor should cooperate with staff's efforts to clarify the type of records being sought, or to attempt to reach a reasonable agreement about a response to a large request. Making a FOIA request is not an adversarial process, but ACPS may need to discuss the request with the requestor to ensure that it is understood what records are being sought.

To request records from ACPS, citizens may direct their requests to Phil Giaramita, ACPS FOIA Coordinator, appointed pursuant to Albemarle County School Board Policy KBA at (434) 972-4049 or In addition, the FOIA Advisory Council is available to answer any questions citizens may have about FOIA. The Council may be contacted by phone at (804) 225-3056 or [toll free] 1-866-448-4100, or by e-mail at

ACPS’s Responsibilities in Responding to a Request

  • ACPS must respond to requests within five working days of receiving a request. "Day One" is considered the day after the request is received. The five-day period does not include weekends or holidays.
  • FOIA allows ACPS to require requestors to provide their name and legal address.
  • FOIA requires that ACPS make one of the following responses to a request within the five-day time period:
    1. ACPS provides the requestor with the records that they have requested in their entirety.2) ACPS withholds all of the records that have been requested, because all of the records are subject to a specific statutory exemption. If all of the records are being withheld, ACPS must send the requestor a response in writing. That writing must identify the volume and subject matter of the records being withheld, and state the specific section of the Code of Virginia that allows ACPS to withhold the records.
    2. ACPS provides some of the records that have been requested, but withholds other records. ACPS cannot withhold an entire record if only a portion of it is subject to an exemption. In that instance, ACPS may redact the portion of the record that may be withheld, and must provide the requestor with the remainder of the record. ACPS must provide the requestor with a written response stating the specific section of the Code of Virginia that allows portions of the requested records to be withheld.
    3. ACPS informs the requestor in writing that the requested records cannot be found or do not exist (ACPS does not have the records the requestor wants). However, if ACPS knows that another public body has the requested records, ACPS must include contact information for the other public body in its response to the requestor.
    4. If it is practically impossible for ACPS to respond to the request within the five-day period, ACPS must state this in writing, explaining the conditions that make the response impossible. This will allow ACPS seven additional working days to respond to the request, giving ACPS a total of 12 working days to respond to the request.
  • If a citizen makes a request for a very large number of records, and ACPS cannot provide the records to the requestor within 12 working days without disrupting its other organizational responsibilities, ACPS will make a reasonable effort to reach an agreement with the requestor regarding an extension of time in which to produce the records. If ACPS and the requestor are unable to reach an agreement, ACPS may petition the court for additional time to respond to the request.


  • ACPS may make reasonable charges not to exceed its actual cost incurred in accessing, duplicating, supplying, or searching for the requested records. ACPS shall not impose any extraneous, intermediary, or surplus fees or expenses to recoup the general costs associated with creating or maintaining records or transacting the general business of ACPS. Any duplicating fee charged by ACPS shall not exceed the actual cost of duplication.
  • The requestor may have to pay for the records that are requested from ACPS. FOIA allows ACPS to charge for the actual costs of responding to FOIA requests. This would include items such as staff time spent searching for the requested records, copying costs, or any other costs directly related to supplying the requested records. It cannot include general overhead costs.
  • If ACPS estimates that it will cost more than $200 to respond to a request, ACPS may require the requestor to pay a deposit, not to exceed the amount of the estimate, before proceeding with the request. The five day response time for a request does not include the time between when ACPS asks for a deposit and when the requestor responds to ACPS.
  • The requestor may request that ACPS estimate in advance the charges for supplying the records that have been requested. This will allow the requestor to know about any costs upfront, or give the requestor an opportunity to modify the request in an attempt to lower the estimated costs.
  • If the requestor owes ACPS money from a previous FOIA request that has remained unpaid for more than 30 days, ACPS may require payment of the past-due bill before it will respond to the new FOIA request.
  • Types of Records

Typs of Records

The following is a general description of the types of records held by ACPS:

  • Agendas and minutes of meetings of the School Board
  • Records related to contracts of ACPS
  • Position descriptions and salary documentation of employees and ACPS officials

If citizens are unsure whether the County has the record(s) they want, they may contact ACPS’s FOIA Coordinator at (434) 972-4049 or

Commonly Used Exemptions

The Code of Virginia allows ACPS to withhold certain records from public disclosure. The following are common exemptions cited by ACPS when it withholds records from public disclosure:

  • Personnel records (Virginia Code § 2.2-3705.1(1))
  • Records subject to attorney-client privilege (Virginia Code § 2.2-3705.1(2)) or attorney work product (Virginia Code § 2.2-3705.1(3))
  • Vendor proprietary information (Virginia Code § 2.2-3705.1(6))
  • Records relating to the negotiation and award of a contract, prior to a contract being awarded (Virginia Code § 2.2-3705.1(12))
  • Scholastic Records (Virginia Code § 2.2-3705.4)

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