- Part of Presidential Electronic Mail from the Automated Records Management System (ARMS), Automated Records Management System (ARMS) Email from the White House Office (WHO) Bucket
Extracted text
OCR Page 1 of 118Withdrawal/Redaction Sheet
Clinton Library
DOCUMENT NO.
SUBJECT/TITLE
DATE
RESTRICTION
AND TYPE
001. email
Lynn G. Cutler to Mickey Ibarra, at 13:01:45.00. Subject: welcome
08/30/1997
P6/b(6)
back. (partial) (1 page)
002 email
Lynn G. Cutler to Mona G. Mohib, Mickey Ibarra, etc., at
09/17/1997
P5 KBH 10/10/2014
18.52.48.00. Subject: Re: Dec2 - Race Town Hall. (1 page)
003. email
Lynn G. Cutler to Mickey Ibarra, at 20:21:58.00. Subject: Re:
09/17/1997
P6/b(6)
Midwest Outreach Meeting. (partial) (1 page)
004 email
Lynn G. Cutler to Mickey Ibarra, at 13:12:17.00. Subject: weekly.
10/03/1997
P5 KBH 10/10/2014
(partial) (2 pages)
005. email
Fred DuVal to Mickey Ibarra, at 10:35:27.00. Subject: Re: Arizona.
10/27/1997
P6/b(6)
(partial) (1 page)
COLLECTION:
Clinton Presidential Records
Automated Records Management System (Email)
WHO 1996/01 - 1997/12 ([To Ibarra])
OA/Box Number: 550000
FOLDER TITLE:
[07/31/1997 - 10/29/1997]
2006-0197-F
ab164
RESTRICTION CODES
Presidential Records Act - [44 U.S.C. 2204(a)]
Freedom of Information Act - [5 U.S.C. 552(b)]
P1 National Security Classified Information [(a)(1) of the PRA]
b(1) National security classified information [(b)(1) of the FOIA]
P2 Relating to the appointment to Federal office [(a)(2) of the PRA]
b(2) Release would disclose internal personnel rules and practices of
P3 Release would violate a Federal statute [(a)(3) of the PRA]
an agency [(b)(2) of the FOIA]
P4 Release would disclose trade secrets or confidential commercial or
b(3) Release would violate a Federal statute [(b)(3) of the FOIA]
financial information [(a)(4) of the PRA]
b(4) Release would disclose trade secrets or confidential or financial
P5 Release would disclose confidential advice between the President
information [(b)(4) of the FOIA]
and his advisors, or between such advisors [a)(5) of the PRA]
b(6) Release would constitute a clearly unwarranted invasion of
P6 Release would constitute a clearly unwarranted invasion of
personal privacy [(b)(6) of the FOIA]
personal privacy [(a)(6) of the PRA]
b(7) Release would disclose information compiled for law enforcement
purposes [(b)(7) of the FOIA]
C. Closed in accordance with restrictions contained in donor's deed
b(8) Release would disclose information concerning the regulation of
of gift.
financial institutions [(b)(8) of the FOIA]
PRM. Personal record misfile defined in accordance with 44 U.S.C.
b(9) Release would disclose geological or geophysical information
2201(3).
concerning wells [(b)(9) of the FOIA]
RR. Document will be reviewed upon request.