OMB Emergency Request Letter

OMB Emergency Request Letter.pdf

FIX NICS Act State Implementation Plan Survey

OMB Emergency Request Letter

OMB: 1110-0077

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U.S. Department of Jnstice

Federal Bureau oflnvestigation

Clruksburg, WV 26306

September 14, 2018

Mr. Joseph B. Nye
OMB Policy Analyst
Office of the Information and Regulatory Affairs
New Executive Office Building
Washington, D.C. 20530
·
Ms. Melody Braswell
Department Clearance Officer, PRA
Office of the Chieflnformation Officer
Policy and Planning Staff
DOJ2CON
Washington, D.C. 20002
Dear Mr. Nye and Ms. Braswell:
As the Section Chief of the Federal Bureau oflnvestigation (FBI), Criminal Justice Information
Services (CJIS) Division, National Instant Criminal Background Check System (NICS) Section,
I am seeking an emergency review and approval of the attached NICS State Implementation Plan
template pursuant to the requirements of the Paperwork Reduction Act (PRA). This letter
requests emergency approval of the Application by September 28, 2018, in accordance with 44
U.S.C. § 35070 and 5 C.F.R. § 1320.13, which permits such expedited approvals when a
collection is needed prior to the expiration of time periods established by the PRA, is essential to
the mission of the agency, and would cause a statutory deadline to be missed. See 44 U.S.C. §§
35070)(1) and 3507(j)(2).
This emergency.processing is essential because compliance with normal clearance procedures
would cause the statutory deadline to be missed, and would further delay and potentially inhibit
the identification and contribution of valuable records necessary for NICS to make accurate and
timely decisions regarding the Second Amendment rights of individuals requiring a NICS
Background Check.
The State Implementation Plan Template is Essential to the Mission of the FBI CJIS NICS

The expedited approval of the State Implementation Plan Template is essenfoll to the mission of
the FBI CJIS NICS because the collection of data from the State Implementation Plan Template
is necessary in order to identify state records establishing NICS prohibitions that are not
available to NICS and develop a plan to submit such records to one of the three systems NICS
searches. On March 23, 2018, President Trump signed into law the Consolidated Appropriations
Act, 2018. See H.R. Res. 1625, I 15th Cong. (2018) (enacted). Division S, Title VI of this
appropriations law is known as the Fix NICS Act. The Act strives to strengthen the NICS, which
is a program operated at the FBI CJIS Division in West Virginia. Section 107 of the Act
requires, no later than March 23, 2019, for the Attorney General (AG) to establish an

implementation plan for each State government. Each plan will ensure maximum coordination
and automation of the reporting or making available of appropriate records to the NICS
established under section 103 of the Brady Handgun Violence Prevention Act and the
verification of the accuracy of those records during a four-year period specified in the plan.

Approval is Necessary to Achieve Compliance with Statutory Deadlines in the Act
Approval of the State Implementation Plan Template is necessary, because it is the only way to
achieve compliance with the mandatory statutory deadlines in the Act. On September 4, 2018,
the Department of Justice (DOJ) verbally assigned the task of developing a document to collect
state specific-information, regarding gaps in records made available to NICS verses records
possessed by states, to the FBI CJIS NICS. The. NICS Section was instructed to gather
information from the ens state contacts that will support the development of the state
implementation plans. This was not previously assigned/delegated to the FBI CJIS Division.
Regardless of which entity is assigned the task of disseminating the questions to state contaets
and developing the implementation plans, work must be undertaken at the earliest opportunity to
meet the March 2019 deadline. Collecting this information is merely the first step in developing
· an implementation plan. Once information is received, it will require additional man hours to
review each state contact's response and then generate an appropriate plan for each individual
state. Approval of the template is necessary before the expiration of the 60-day and 30-day
notice periods, because it is the only way to achieve compliance with the mandatory statutory
deadlines in the Act. Otherwise, neither CJIS nor another entity will be able to meet the statutory
requirement of the Fix NICS Act. The Act requires the Attorney General to develop an
implementation plan for each State government, in coordination with the States, to ensure
'maximum coordination and automation of the reporting or making available of appropriate
records to the NICS by March 23, 2019. Each plan is required to include annual benchmarks to
enable the AG to assess the implementation of the plan, including: qualitative goals and
quantitative measures; and a needs assessment, noting estimated compliance costs. If the normal
process for obtaining an OMB number is required, adding a 90-day or even a 60-day Office of
Management and Budget (OMB) clearance process, would prevent the AG or delegated entity
from meeting the statutory deadline of having state plans in place by March 23, 2019. The
questionnaire needs to be disseminated to state contacts beginning October of2018, in order to
allow states adequate time to determine an accurate response, as well as time to then develop,
draft, and coordinate with states on the final implementation plan. The process of coordinating
with the state contacts and developing an applicable plan is critical as the statute not only
requires the plans, but states found to not be in compliance with their developed plans are subject
. to annual penalties. By the end of each fiscal year beginning October 2019, the AG shall
determine whether each State government has achieved substantial compliance with the
benchmarks included in the plan. The AG shall disclose and publish, including on the DOJ
website, the name of each State government that received a determination of failure to achieve
substantial compliance with an implementation plan for the fiscal year. Additionally, those states
found not to be in compliance shall not be given affirmative preference with regard to Bureau of
Justice Assistance discretionary grant applications for the fiscal year in which the grant was
solicited. Therefore, CJIS is requesting an emergency processing to facilitate this task.
Expedited Approval of the State Implementation Plan Template provides a Temporary Measure
to Allow the FBI CJIS NICS the ability to begin disseminating the template to the state contacts
in October 2018, to allow the states ample time to establish and implement a plan that will
comply with the Act by the March 23, 2019 deadline while the template undergoes the normal
clearance procedures.

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Expedited Approval provides a Temporary Measure to Allow State time to Develop and
Implement their Plan within the Statutory Time Limits while the Template undergoes the
Normal Clearance Procedures
Finally, the FBI CJIS Division JCS request for expedited approval should be granted because it
is a temporary measure to allow the state contacts time to develop and implement their plans
establishing the criteria for making records available to ICS within the statutory time limits,
while the template undergoes the normal clearance procedures. If additional comments are
received during the PRA clearance process, the template can be amended.
Thank yo u for your prompt consideration of this request. Please contact Gerry Lynn Brovey,
FBI CJIS Division, Supervisory Information Liaison Specialist, by email at glbrovey@ tbi.gov or
by phone at 304-625-4320 if you have any questions or need additional information.
Sincerely,

Robin A. Stark-Nutter
ection Chief
JCS Section
ens Division

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