As a reminder and for everyone's convenience, attached are the two December 30,
1997 directives that have already been delivered in hard copy. The memoranda
request that staff respond by tomorrow, January 8, 1998.
December 30, 1997
MEMORANDUM FOR ALL STAFF OF THE EXECUTIVE OFFICE OF THE PRESIDENT
FROM: CHARLES F. C. RUFF
COUNSEL TO THE PRESIDENT
SALLY P. PAXTON
SPECIAL ASSOCIATE COUNSEL TO THE PRESIDENT
SUBJECT: REQUEST FOR DOCUMENTS
We have received Congressional subpoenas for documents from the House Government
Reform Committee which relate to the White House Office Database ("WhoDB") and
other matters. Every employee is responsible for searching all of his or her
own White House records for materials (whether in hard copy, computer or any
other form) to ensure a comprehensive search.
The head of each office must also provide a signed certification that all staff
within that office have searched their records and provided copies of any
responsive materials in their possession. Additionally, the Counsel's Office
has been working with the staff of the Office of Records Management to find
responsive material located in storage. If you believe materials that you have
sent to Records Management may contain responsive information, please let us
know so that we can ensure that all responsive materials are found.
In responding to'the following requests, "EOP" includes any person employed by
or assigned to any office of the Executive Office of the President, including
the White House. "Malone" includes W.P. Malone, Inc. or Percy Malone.
REQUESTS:
1. All materials reflecting involvement or communications by EOP
personnel, from January 20, 1993 through the present, regarding
,any database implemented or discussed, contemplated or planned
to be implemented, by or on behalf of Clinton/Gore, the DNC, or
any Clinton Presidential campaign entity, for the purpose of
maintaining any list of, or information about, supporters or
contributors.
2. All materials reflecting contracts or terms of contracts
(including "use agreements"), whether in draft or final, between
the EOP and any vendor, the DNC, Clinton/Gore or any other party
with respect to the 1993, 1994, 1995 or 1996 White House holiday
cards.
3. All materials reflecting any restrictions on the use by either
the DNC or Clinton/Gore of information contained in any White
House database.
4. All materials relating to PeopleBase. This request includes any
documents, whether in draft or in final, which reflect any
agreements between either (1) the EOP and Malone, or (2)
Clinton/Gore and Malone.
5. All materials which reflect the non-disclosure statement between
the EOP and Malone for information contained in PeopleBase.
6. All materials relating to Malone.
7. All materials relating to guidelines for the payment for use of
the President or the Vice President's residences for nonofficial
purposes.
8. All copies of a Kevin O'Keefe memorandum written on or about May
24, 1994 regarding early supporters.
9. All materials which reflect efforts to respond to or comply with
all previous requests for documents or materials related to the
WhoDB, including directives sent by Jack Quinn dated August 7,
1996 and September 12, 1996.
please provide copies of any responsive materials to Sally Paxton, OEOB Room
148, by January 8, 1998. If you anticipate any difficulty in meeting this
deadline, or if you have any questions, please call either Sally Paxton at ext.
65079 or Dimitri Nionakis at ext. 65814.
Thank you very much for your cooperation with this request.
December 30, 1997
MEMORANDUM FOR ALL EXECUTIVE OFFICE OF THE PRESIDENT STAFF
FROM: CHARLES F.C. RUFF
COUNSEL TO THE PRESIDENT
SUBJECT: Document Request
We have received a subpoena for materials related to the Department of
Interior's (DOI) decision to deny an application to place a 55 acre parcel of
land located in Hudson, Wisconsin, in trust for gaming purposes (hereinafter the
"Hudson casino proposal") .
In an effort to comply fully with this subpoena, please search your records for
all materials (whether in hard copy, computer or other form) responsive to the
requests listed below. Every employee is responsible for searching all of his
or her own files and records to ensure a comprehensive search.
The head of each office also must provide a signed certification that all
employees have searched their files and provided copies of any responsive
materials in their possession. Additionally, the Counsel's Office has been
working with the staff of the Office of Records Management to find responsive
material located in storage. If you believe that you have sent files to Records
,Management that may contain responsive information, please let us know so that
we can ensure that all responsive materials are found.
If you have previously provided to the Counsel's Office, pursuant to an earlier
directive, materials that are responsive to this request, you need not provide
the same materials again. Please be sure, however, that you have searched your
files thoroughly for any documents that are responsive to the specific items in
this request.
Requests:
1. All materials reflecting communications (including telephone
conversations) or meetings between anyone at DOI or the White House and
any lobbyist, including Paul Eckstein, for the following Native Indian
Tribes:
A. Sokaogon Chippewa Community (Mole Lake Band of Lake Superior
Chippewa) ;
B. Lac Courte Oreilles Band of Lake Superior Chippewa Indians of.
'Wisconsin; and,
C. Red Cliff Band of Lake Superior Chippewa Indians of Wisconsin.
2. All materials reflecting any communications or meetings relating to any
actual or possible political contributions by any of the following
tribes or entities, or the effect, if any, of such contributions on DOI
policy, including, but not limited to, the decision related to the
Hudson casino proposal:
A. The Minnesota Indian Gaming Commission;
B. St. Croix Chippewa Indians of Wisconsin;
C. Oneida Tribe of Indians of Wisconsin;
D. Ho-Chunk Community; and,
E. Any other Native Indian tribe, organization, or individual that
you know in any way opposed the Hudson casino proposal.
Please provide copies of any responsive documents to Dimitri Nionakis, 477 OEOB,
BY NOON ON JANUARY 8, 1998. If you have any questions about any requests or if
you need additional time to respond to this directive, please call Dimitri at
X65814.
Thank you for your assistance.
As a reminder and for everyone's convenience, attached are the two December 30,
1997 directives that have already been delivered in hard copy. The memoranda
request that staff respond by tomorrow, January 8, 1998.
December 30, 1997
MEMORANDUM FOR ALL STAFF OF THE EXECUTIVE OFFICE OF THE PRESIDENT
FROM: CHARLES F. C. RUFF
COUNSEL TO THE PRESIDENT
SALLY P. PAXTON
SPEC~AL ASSOCIATE COUNSEL TO THE PRESIDENT
SUBJECT: REQUEST FOR DOCUMENTS
We have received Congressional subpoenas for documents from the House Government
Reform Committee which relate to the White House Office Database ("WhoDB") and
other matters. Every employee is responsible for searching all of his or her
own White House records for materials (whether in hard copy, computer or any
other form) to ensure a comprehensive search.
The head of each office must also provide a signed certification that all staff
within that office have searched their records and provided copies of any
responsive materials in their possession. Additionally, the Counsel's Office
has been working with the staff of the Office of Records Management to find
responsive material located in storage. If you believe materials that you have
sent to Records Management may contain responsive information, please let us
know so that we can ensure that all responsive materials are found.
In responding to the following requests, "EOP" includes any person employed by
or assigned to any office of the Executive Office of the President, including
the White House. "Malone" includes W.P. Malone, Inc. or Percy Malone.
REQUESTS:
1. All materials reflecting involvement or communications by EOP
personnel, from January 20, 1993 through the present, regarding
any database implemented or discussed, contemplated or planned
to be implemented, by or on behalf of Clinton/Gore, the DNC, or
any Clinton Presidential campaign entity, for the purpose of
maintaining any list of, or information about, supporters or
contributors.
2. All materials reflecting contracts or terms of contracts .
(including "use agreements"), whether in draft or final, between
the EOP and any vendor, the DNC, Clinton/Gore or any other party
with respect to the 1993, 1994, 1995 or 1996 White House holiday
cards.
3. All materials reflecting any restrictions on the use by either
the DNC or Clinton/Gore of information contained in any White
House database.
4. All materials relating to PeopleBase. This request includes any
documents, whether in draft or in final, which reflect any
agreements between either (1) the EOP and Malone, or (2)
Clinton/Gore and Malone.
5. All materials which reflect the non-disclosure statement between
the EOP and Malone for information contained in PeopleBase.
6. All materials relating to Malone.
7. All materials relating to guidelines for the payment for use of
the President or the Vice President's residences for nonofficial
purposes.
8. All copies of a Kevin O'Keefe memorandum written on or about May
24, 1994 regarding early supporters.
9. All materials which reflect efforts to respond to or comply with
all previous requests for documents or materials related to the
WhoDB, including directives sent by Jack Quinn dated August 7,
1996 and September 12, 1996.
Please provide copies of any responsive materials to Sally Paxton, OEOB Room
148, by January 8, 1998. If you anticipate any difficulty in meeting this
deadline, or if you have any questions, please call either Sally Paxton at ext.
65079 or Dimitri Nionakis at ext. 65814.
Thank you very much for your cooperation with this request.
December 30, 1997
MEMORANDUM FOR ALL EXECUTIVE OFFICE OF THE PRESIDENT STAFF
FROM: CHARLES F.C. RUFF
COUNSEL TO THE PRESIDENT
SUBJECT: Document Request
We have received a subpoena for materials related to the Department of
Interior's (001) decision to deny an application to place a 55 acre parcel of
land located in Hudson, Wisconsin, in trust for gaming purposes (hereinafter the
"Hudson casino proposal").
In an effort to comply fully with this subpoena, please search your records for
all materials (whether in hard copy, computer or other form) responsive to the
requests listed below. Every employee is responsible for searching all of his
or her own files and records to ensure a comprehensive search.
The head of each office also must provide a signed certification that all
employees have searched their files and provided copies of any responsive
materials in their possession. Additionally, the Counsel's Office has been
working with the staff of the Office of Records Management to find responsive
material located in storage. If you believe that you have sent files to Records
Management that may contain responsive information, please let us know so that
we can ensure that all responsive materials are found.
If you have previously provided to the Counsel's Office, pursuant to an earlier
directive, materials that are responsive to this request, you need not provide
the same materials again. Please be sure, however, that you have searched your
files thoroughly for any documents that are responsive to the specific items in
this request.
Requests:
1. All materials reflecting communications (including telephone
conversations) or meetings between anyone at DOlor the White House and
any lobbyist, including Paul Eckstein, for the following Native Indian
Tribes:
A. Sokaogon Chippewa Community (Mole Lake Band of Lake Superior
Chippewa) ;
B. Lac Courte Oreilles Band of Lake Superior Chippewa Indians of
Wisconsin; and,
C. Red Cliff Band of Lake Superior Chippewa Indians of Wisconsin.
2. All materials reflecting any communications or meetings relating to any
actual or possible political contributions by any of the following
tribes or entities, or the effect, if any, of such contributions on 001
policy, including, but not limited to, the decision related to the
Hudson casino proposal:
A. The Minnesota Indian Gaming Commission;
B. St. Croix Chippewa Indians of Wisconsin;
C. Oneida Tribe of Indians of Wisconsin;
D. Ho-Chunk Community; and,
E. Any other Native Indian tribe, organization, or individual that
you know in any way opposed the Hudson casino proposal.
Please provide copies of any responsive documents to Dimitri Nionakis, 477 OEOB,
BY NOON ON JANUARY 8, 1998. If you have any questions about any requests or if
you need additional time to respond to this directive, please call Dimitri at
X65814.
Thank you for your assistance.
As a reminder and for everyone's convenience, attached are the two
December 30,
1997 directives that have already been delivered in hard copy. The
memoranda
request that staff respond by tomorrow, January 8, 1998.
December 30, 1997
MEMORANDUM FOR ALL STAFF OF THE EXECUTIVE OFFICE OF THE PRESIDENT
FROM: CHARLES F. C. RUFF
COUNSEL TO THE PRESIDENT
SALLY P. PAXTON
SPECIAL ASSOCIATE COUNSEL TO THE PRESIDENT
SUBJECT: REQUEST FOR DOCUMENTS
We have received Congressional subpoenas for documents from the House
Government
Reform Committee which relate to the White House Office Database ("WhoDB")
and
other matters. Every employee is responsible for searching all of his or
her
own White House records for materials (whether in hard copy, computer or
any
other form) to ensure a comprehensive search.
The head of each office must also provide a signed certification that all
staff
within that office have searched their records and provided copies of any
responsive materials in their possession. Additionally, the Counsel's
Office
has been working with the staff of the Office of Records Management to
find
responsive material located in storage. If you believe materials that you
have
sent to Records Management may contain responsive information, please let
us
know so that we can ensure that all responsive materials are found.
In responding to the following requests, "EOP" includes any person
employed by
or assigned to any office of the Executive Office of the President,
including
the white House. "Malone" includes W.P. Malone, Inc. or Percy Malone.
REQUESTS:
1. All materials reflecting involvement or communications by
EOP
personnel, from January 20, 1993 through the present,
regarding
any database implemented or discussed, contemplated or
planned
to be implemented, by or on behalf of Clinton/Gore, the
DNC, or
any Clinton Presidential campaign entity, for the purpose
of
maintaining any list of, or information about, supporters
or
contributors.
2. All materials reflecting contracts or terms of contracts
(including "use agreements"), whether in draft or final,
between
the EOP and any vendor, the DNC, Clinton/Gore or any other
party
with respect to the 1993, 1994, 1995 or 1996 White House
holiday
cards.
3. All materials reflecting any restrictions on the use by
either
the DNC or Clinton/Gore of information contained in any
White
House database.
4. All materials relating to PeopleBase. This request
includes any
documents, whether in draft or in final, which reflect any
agreements between either (1) the EOP and Malone, or (2)
Clinton/Gore and Malone.
5. All materials which reflect the non-disclosure statement
between
the EOP and Malone for information contained in PeopleBase.
6. All materials relating to Malone.
7. All materials relating to guidelines for the payment for
use of
the President or the Vice President's residences for
nonofficial
purposes.
8. All copies of a Kevin O'Keefe memorandum written on or
about May
24, 1994 regarding early supporters.
9. All materials which reflect efforts to respond to or
comply with
all previous requests for documents or materials related
to the
WhODB, including directives sent by Jack Quinn dated
August 7,
1996 and September 12, 1996.
Please provide copies of any responsive materials to Sally Paxton, OEOB
Room
148, by January 8, 1998. If you anticipate any difficulty in meeting this
deadline, or if you have any questions, please call either Sally Paxton at
ext.
65079 or Dimitri Nionakis at ext. 65814.
Thank you very much for your cooperation with this request.
December 30, 1997
MEMORANDUM FOR ALL EXECUTIVE OFFICE OF THE PRESIDENT STAFF
FROM: CHARLES F.C. RUFF
COUNSEL TO THE PRESIDENT
SUBJECT: Document Request
We have received a subpoena for materials related to the Department of
Interior's (DOl) decision to deny an application to place a 55 acre parcel
of
land located in Hudson, Wisconsin, in trust for gaming purposes
(hereinafter the
"Hudson casino proposal") .
In an effort to comply fully with this subpoena, please search your
records for
all materials (whether in hard copy, computer or other form) responsive to
the
requests listed below. Every employee is responsible for searching all of
his
or her own files and records to ensure a comprehensive search.
The head of each office also must provide a signed certification that all
employees have searched their files and provided copies of any responsive
materials in their possession. Additionally, the Counsel's Office has
been
working with the staff of the Office of Records Management to find
responsive
material located in storage. If you believe that you have sent files to
Records
Management that may contain responsive information, please let us know so
that
we can ensure that all responsive materials are found.
If you have previously provided to the Counsel's Office, pursuant to an
earlier
directive, materials that are responsive to this request, you need not
provide
the same materials again. Please be sure, however, that you have searched
your
files thoroughly for any documents that are responsive to the specific
items in
this request.
Requests:
1. All materials reflecting communications (including telephone
conversations) or meetings between anyone at DOlor the White
House and
any lobbyist, including Paul Eckstein, for the following Native
Indian
Tribes:
A. Sokaogon Chippewa Community (Mole Lake Band of Lake
Superior
Chippewa) ;
B. Lac Courte Oreilles Band of Lake Superior Chippewa Indians
of
Wisconsin; and,
C. Red Cliff Band of Lake Superior Chippewa Indians of
Wisconsin.
2. All materials reflecting any communications or meetings relating
to any
actual or possible political contributions by any of the following
tribes or entities, or the effect, if any, of such contributions
on DOl
policy, including, but not limited to, the decision related to the
Hudson casino proposal:
A. The Minnesota Indian Gaming Commission;
B. St. Croix Chippewa Indians of Wisconsin;
C. Oneida Tribe of Indians of Wisconsin;
D. Ho-Chunk Community; and,
E. Any other Native Indian tribe, organization, or individual
that
you know in any way opposed the Hudson casino proposal.
Please provide copies of any responsive documents to Dimitri Nionakis, 477
OEOB,
BY NOON ON JANUARY 8, 1998. If you have any questions about any requests
or if
you need additional time to respond to this directive, please call Dimitri
at
X65814.
Thank you for your assistance.
As a reminder and for everyone's convenience, attached are the two
December 30,
1997 directives that have already been delivered in hard copy. The
memoranda
request that staff respond by tomor"row, January 8, 1998.
December 30, 1997
MEMORANDUM FOR ALL STAFF OF THE EXECUTIVE OFFICE OF THE PRESIDENT
FROM: CHARLES F. C. RUFF
COUNSEL TO THE PRESIDENT
SALLY P. PAXTON
SPECIAL ASSOCIATE COUNSEL TO THE PRESIDENT
SUBJECT: REQUEST FOR DOCUMENTS
We have received Congressional subpoenas for documents from the House
Government
Reform Committee which relate to the White House Office Database ("whoDB")
and
other matters. Every employee is responsible for searching all of his or
her
own White House records for materials (whether in hard copy, computer or
any
other form) to ensure a comprehensive search.
The head of each office must also provide a signed certification that all
staff
within that office have searched their records and provided copies of any
responsive materials in their possession. Additionally, the Counsel's
Office
has been working with the staff of the Office of Records Management to
find
responsive material located in storage. If you believe materials that you
have
sent to Records Management may contain responsive information, please let
us
know so that we can ensure that all responsive materials are found.
In responding to the following requests, "EOP" includes any person
employed by
or assigned to any office of the Executive Office of the President,
including
the White House. "Malone" includes W.P. Malone, Inc. or Percy Malone.
REQUESTS:
1. All materials reflecting involvement or communications by
EOP
personnel, from January 20, 1993 through the present,
regarding
any database implemented or discussed, contemplated or
planned
to be implemented, by or on behalf of Clinton/Gore, the
DNC, or
any Clinton Presidential campaign entity, for the purpose
of
maintaining any list of, or information about, supporters
or
contributors.
2. All materials reflecting contracts or terms of contracts
(including "use agreements"), whether in draft or final,
between
the EOP and any vendor, the DNC, Clinton/Gore or any other
party
with respect to the 1993, 1994, 1995 or 1996 White House
holiday
cards.
3. All materials reflecting any restrictions on the use by
either
the DNC or Clinton/Gore of information contained in any
White
House database.
4. All materials relating to PeopleBase. This request
includes any
documents, whether in draft or in final, which reflect any
agreements between either (1) the EOP and Malone, or (2)
Clinton/Gore and Malone.
5. All materials which reflect the non-disclosure statement
between
the EOP and Malone for information contained in PeopleBase.
6. All materials relating to Malone.
7. All materials relating to guidelines for the payment for
use of
the President or the Vice President's residences for
nonofficial
purposes.
8. All copies of a Kevin O'Keefe memorandum written on or
about May
24, 1994 regarding early supporters.
9. All materials which reflect efforts to respond to or
comply with
all previous requests for documents or materials related
to the
WhODB, including directives sent by Jack Quinn dated
August 7,
1996 and September 12, 1996.
Please provide copies of any responsive materials to Sally Paxton, OEOB
Room
148, by January 8, 1998. If you anticipate any difficulty in meeting this
deadline, or if you have any questions, please call either Sally Paxton at
ext.
65079 or Dimitri Nionakis at ext. 65814.
Thank you very much for your cooperation with this request.
December 30, 1997
MEMORANDUM FOR ALL EXECUTIVE OFFICE OF THE PRESIDENT STAFF
FROM: CHARLES F.C. RUFF
COUNSEL TO THE PRESIDENT
SUBJECT: Document Request
We have received a subpoena for materials related to the Department of
Interior's (DOI) decision to deny an application to place a 55 acre parcel
of
land located in Hudson, wisconsin, in trust for gaming purposes
(hereinafter the
"Hudson casino proposal") .
In an effort to comply fully with this subpoena, please search your
records for
all materials (whether in hard copy, computer or other form) responsive to
the
requests listed below. Every employee is responsible for searching all of
his
or her own files and records to ensure a comprehensive search.
The head of each office also must provide a signed certification that all
employees have searched their files and provided copies of any responsive
materials in their possession. Additionally, the Counsel's Office has
been
working with the staff of the Office of Records Management to find
responsive
material located in storage. If you believe that you have sent files to
Records
Management that may contain responsive information, please let us know so
.that
we can ensure that all responsive materials are found.
If you have previously provided to the Counsel's Office, pursuant to an
earlier
directive, materials that are responsive to this request, you need not
provide
the same materials again. Please be sure, however, that you have searched
your
files thoroughly for any documents that are responsive to the specific
items in
this request.
Requests:
1. All materials reflecting communications (including telephone
conversations) or meetings between anyone at DOI or the White
House and
any lobbyist, including Paul Eckstein, for the following Native
Indian
Tribes:
A. Sokaogon Chippewa Community (Mole Lake Band of Lake
Superior
Chippewa) ;
B. Lac Courte Oreilles Band of Lake superior Chippewa Indians
of
Wisconsin; and,
C. Red Cliff Band of Lake Superior Chippewa Indians of
Wisconsin.
2. All materials reflecting any.communications or meetings relating
to any
actual or possible political contributions by any of the following
tribes or entities, or the effect, if any, of such contributions
on DOl
policy, including, but not limited to, the decision related to the
Hudson casino proposal:
A. The Minnesota Indian Gaming Commission;
B. St. Croix Chippewa Indians of Wisconsin;
C. Oneida Tribe of Indians of Wisconsin;
D. Ho-Chunk Community; and,
E. Any other Native Indian tribe, organization, or individual
that
you know in any way opposed the Hudson casino proposal.
Please provide copies of any responsive documents to Dimitri Nionakis, 477
OEOB,
BY NOON ON JANUARY 8, 1998. If you have any questions about any requests
or if
you need additional time to respond to this directive, please call Dimitri
at
X65814.
Thank you for your assistance.
As a reminder and for everyone's convenience, attached are the two
December 30,
1997 directives that have already been delivered in hard copy. The
memoranda
request that staff respond by tomorrow, January 8, 1998.
December 30, 1997
MEMORANDUM FOR ALL STAFF OF THE EXECUTIVE OFFICE OF THE PRESIDENT
FROM: CHARLES F. C. RUFF
COUNSEL TO THE PRESIDENT
SALLY P. PAXTON
SPECIAL ASSOCIATE COUNSEL TO THE PRESIDENT
SUBJECT: REQUEST FOR DOCUMENTS
We have received Congressional subpoenas for documents from the House
Government
Reform Committee which relate to the White House Office Database ("WhoDB")
and
other matters. Every employee is responsible for searching all of his or
her
own White House records for materials (whether in hard copy, computer or
any
other form) to ensure a comprehensive search.
The head of each office must also provide a signed certification that all
staff
within that office have searched their records and provided copies of any
responsive materials in their possession. Additionally, the Counsel's
Office
has been working with the staff of the Office of Records Management to
find
responsive material located in storage. If you believe materials that you
have
sent to Records Management may contain responsive information, please let
us
know so that we can ensure that all responsive materials are found.
In responding to the following requests, "EOP" includes any person
employed by
or assigned to any office of the Executive Office of the President,
including
the White House. "Malone" includes W.P. Malone, Inc. or Percy Malone.
REQUESTS:
1. All materials reflecting involvement or communications by
EOP
personnel, from January 20, 1993 through the present,
regarding
any database implemented or discussed, contemplated or
planned
to be implemented, by or on behalf of Clinton/Gore, the
DNC, or
any Clinton Presidential campaign entity, for the purpose
of
maintaining any list of, or information about, supporters
or
contributors.
2. All materials reflecting contracts or terms of contracts
(including "use agreements"), whether in draft or final,
between
the EOP and any vendor, the DNC, Clinton/Gore or any other
party
with respect to the 1993, 1994, 1995 or 1996 White House
holiday
cards.
3. All materials reflecting any restrictions on the use by
either
the DNC or Clinton/Gore of information contained in any
White
House database.
4. All materials relating to PeopleBase. This request
includes any
documents, whether in draft or in final, which reflect any
agreements between either (1) the EOP and Malone, or (2)
Clinton/Gore. and Malone.
5. All materials which reflect the non-disclosure statement
between
the EOP and Malone for information contained in PeopleBase.
6. All materials relating to Malone.
7. All materials relating to guidelines for the payment for
use of
the President or the Vice President's residences for
nonofficial
purposes.
8. All copies of a Kevin O'Keefe memorandum written on or
about May
24, 1994 regarding early supporters.
9. All materials which reflect efforts to respond to or
comply with
all previous requests for documents or materials related
to the
WhODB, including directives sent by Jack Quinn dated
August 7,
1996 and September 12, 1996.
Please provide copies of any responsive materials to Sally Paxton, OEOB
Room
148, by January 8, 1998. If you anticipate any difficulty in meeting this
deadline, or if you have any questions, please call either Sally Paxton at
ext.
65079 or Dimitri Nionakis at ext. 65814.
Thank you very much for your cooperation with this request.
December 30, 1997
MEMORANDUM FOR ALL EXECUTIVE OFFICE OF THE PRESIDENT STAFF
FROM: CHARLES F.C. RUFF
COUNSEL TO THE PRESIDENT
SUBJECT: Document Request
We have received a subpoena for materials related to the Department of
Interior's (DOl) decision to deny an application to place a 55 acre parcel
of
land located in Hudson, Wisconsin, in trust for gaming purposes
(hereinafter the
"Hudson casino proposal") .
In an effort to comply fully with this subpoena, please search your
records for
all materials (whether in hard copy, computer or other form) responsive to
the
requests listed below. Every employee is responsible for searching all of
his
or her own files and records to ensure a comprehensive search.
The head of each office also must provide a signed certification that all
employees have searched their files and provided copies of any responsive
materials in their possession. Additionally, the Counsel's Office has
been
working with the staff of the Office of Records Management to find
responsive
material located in storage. If you believe that you have sent files to
Records
Management that may contain responsive information, please let us know so
that
we can ensure that all responsive materials are found.
If you have previously provided to the Counsel's Office, pursuant to an
earlier
directive, materials that are responsive to this request, you need not
provide
the same materials again. Please be sure, however, that you have searched
your
files thoroughly for any documents that are responsive to the specific
items in
this request.
Requests:
1. All materials reflecting communications (including telephone
conversations) or meetings between anyone at DOI or the White
House and
any lobbyist, including Paul Eckstein, for the following Native
Indian
Tribes:
A. Sokaogon Chippewa Community (Mole Lake Band of Lake
Superior
Chippewa) ;
B. Lac Courte Oreilles Band of Lake Superior Chippewa Indians
of
Wisconsin; and,
C. Red Cliff Band of Lake Superior Chippewa Indians of
Wisconsin.
2. All materials reflecting any communications or meetings relating
to any
actual or possible political contributions by any of the following
tribes or entities, or the effect, if any, of such contributions
on DOl
policy, including, but not limited to, the decision related to the
Hudson casino proposal:
A. The Minnesota Indian Gaming Commission;
B. St. Croix Chippewa Indians of Wisconsin;
C. Oneida Tribe of Indians of Wisconsin;
D. Ho-Chunk Community; and,
E. Any other Native Indian tribe, organization, or individual
that
you know in any way opposed the Hudson casino proposal.
please provide copies of any responsive documents to Dimitri Nionakis, 477
OEOB,
BY NOON ON JANUARY 8, 1998. If you have any questions about any requests
or if
you need additional time to respond to this directive, please call Dimitri
. at
X65814.
Thank you for your assistance.
This site parses the emails sent and received by Elena Kagan during her time in the Clinton administration and presents them in a more familiar interface.
You may find that some records are garbled or incomplete, or that conversations are fractured. Please bear with us: the source documents are extremely messy. We're working to improve the quality of the documents hosted here.
Due to the programmatic nature of the tools used to build this site, we recommend checking any research effort against the source files released by the Clinton Library.
You are able to view 26,108 of the 29,281 released emails (89.1%)