83420 FY 2013 WORLD BANK ACCESS TO INFORMATION ANNUAL REPORT Moving Forward Transparency and Accountability access to information Annual Report FY 2013 Moving Forward Transparency and Accountability © 2013 International Bank for Reconstruction and Development/The World Bank 1818 H Street NW Washington DC 20433 Telephone: 202-473-1000 Internet: www.worldbank.org This work is a product of the staff of The World Bank with external contributions. The findings, interpretations, and conclusions expressed in this work do not necessarily reflect the views of The World Bank, its Board of Executive Directors, or the governments they represent. The World Bank does not guarantee the accuracy of the data included in this work. The boundaries, colors, denominations, and other information shown on any map in this work do not imply any judgment on the part of The World Bank concerning the legal status of any territory or the endorsement or acceptance of such boundaries. Rights and Permissions The material in this work is subject to copyright. Because The World Bank encourages dissemination of its knowledge, this work may be reproduced, in whole or in part, for noncommercial purposes as long as full attribution to this work is given. Cover Photo: Tom Perry/World Bank ii access to information | The World Bank Contents Acknowledgements.............................................................................................................................................. IV Message from the President..................................................................................................................................V List of Acronyms and Abbreviations................................................................................................................. VII I. Executive Summary............................................................................................................................1 II. Review of the Public’s Access to Information in FY 2013...................................................................3 The World Bank’s Continued Commitment to Promote Access to Information........................................................ 3 The World Bank’s Efforts to Make Information Publicly Accessible.......................................................................... 5 The World Bank’s Response to Public Requests for Information ............................................................................ 12 The World Bank’s Exercise of its Prerogative to Disclose Restricted Information..................................................... 16 Appeals Filed in FY 2013....................................................................................................................................... 17 Profiles and Interests of Requesters......................................................................................................................... 18 Looking Forward.................................................................................................................................................... 22 III. Appendices......................................................................................................................................23 APPENDIX A. Board Documents Released Before Board Discussion in FY 2013............................................... 23 APPENDIX B. Exercise of the World Bank’s Prerogative to Disclose Restricted Information – Cases Considered by the AI Committee in FY 2013................................................................ 26 APPENDIX C. Appeals Concluded by the AI Committee in FY 2013................................................................. 27 APPENDIX D. AI Committee Decisions on Appeals in FY 2013........................................................................ 28 APPENDIX E. Appeals Concluded by the AI Appeals Board in FY 2013............................................................ 45 APPENDIX F. AI Appeals Board Decisions in FY 2013...................................................................................... 46 APPENDIX G. Access to Information Committee............................................................................................... 59 APPENDIX H. Access to Information Appeals Board.......................................................................................... 62 APPENDIX I. Information Policy, Operations Policy Practice Group, Legal Vice Presidency............................. 63 Tables Table 1. Select Categories of Publicly Released World Bank Documents in FY 2013............................................... 6 Table 2. Publicly Released Board Records in FY 2013.............................................................................................. 7 Table 3. The World Bank’s Openness Initiatives – Websites.................................................................................... 11 Table 4. Public Requests for Information Received by the World Bank in FY 2013............................................... 12 Table 5. Public Requests for Information Completed by the World Bank in FY 2013............................................ 12 Table 6. Resolution of Completed Requests in FY 2013........................................................................................ 13 Table 7. Requests Fulfilled / Denied in FY 2013.................................................................................................... 14 Table 8. Reasons for Denials (in whole and in part) Issued in FY 2013.................................................................. 14 Table 9. Time Required to Issue Final Response – Requests Completed in FY 2013.............................................. 14 Table 10. Requesters’ Affiliations in FY 2013........................................................................................................... 18 Table 11. Language Used in Online Submission Forms Received by the World Bank: FY 2013............................... 20 Table 12. Requests Related to Regional Information: FY 2013................................................................................ 21 Charts Chart 1. Requesters’ Professional Affiliations (128 survey respondents) ................................................................. 19 Chart 2. Geographical Location of Requesters (111 survey respondents)................................................................ 20 Chart 3. Requesters’ Areas of Interest – Requested Information by Topics (87 survey respondents) ....................... 21 Annual Report FY 2013 iii Acknowledgements This World Bank Access to Information Annual Report was prepared by members of the Information Policy team of the Operations Policy Practice Group, Legal Vice Presidency (LEG) (Lisa Lui, Patricia Miranda, Karen Jones, Aristides Panou), with key contributions from the Operational Communications Unit of the External and Corporate Relations Vice Presidency (ECR) (Sumir Lal, Hannah George, Kate Henvey, Davinia Levy Molner), the Knowledge and Information Services Unit of the Information and Technology Solutions Vice Presidency (ITS) (Vlada Alekankina, William Buchman, Jeannette Smith, ITS-KI A2I Group), the Operations Policy and Country Services Vice Presidency (OPSC) (Astrid Manroth), and the Policy and Operations Unit of the Corporate Secretary Vice Presidency (SEC) (Barbara Geiser, Sivan Tamir). This Report received the support and endorsement of the Access to Information Committee, represented in FY 2014 by: the General Services Department (GSD) (Bryan Cook, Vivek Chaudhry); ECR (Sumir Lal, Jill Wilkins); ITS (Elisa Liberatori-Prati, Edward Strudwicke); LEG (Anthony Toft, Melinda Good); SEC (Elisabetta Marmolo, Barbara Geiser); OPCS (Mariam Sherman (Chair), Stefan Koeberle); and, on behalf of the regions, the Latin America and Caribbean Regional Vice Presidency (LCR) (Deborah Wetzel, Sergio Jellinek). iv access to information | The World Bank Message from the President We are firmly committed to sharing our data and global knowledge with all development stakeholders, including citizens, governments, civil society, academia, media, donor institutions, and the private sector. Our landmark Access to Information Policy has helped the World Bank Group emerge as a global leader in transparency and openness. It also has made us more accountable and more effective in serving our clients—and that will contribute to reaching our ambitious new goals to end extreme poverty by 2030 and boost shared prosperity. In the last three years, we have enacted multifaceted openness and outreach initiatives, and have declassified nearly 70,000 previously restricted documents in our archives. The public has responded by making more than 3 million visits to the World Bank Group’s documents and reports database, viewing more than 16 million pages, and downloading about 3 million files. The World Bank Group encourages everyone to use our data, to conduct their own analysis, or to collaborate with us in studying development issues so we can learn from one another. This creates new opportunities to use evidence to find and deliver innovative local solutions that can lift people out of poverty. In this third Annual Report of the World Bank’s Access to Information Policy, we highlight our accomplishments from this past year, which included: • Launching the Open Knowledge Repository and Open Access policy that make the World Bank’s formal publications, knowledge and outputs freely accessible in digital form; • Initiating Creative Commons licenses that remove restrictions on the use and reuse of World Bank- published content; • Increasing the frequency of publishing World Bank data on aid spending; • Improving the comprehensiveness of our aid data by including organization- and country-level information, as well as project-level data on contracts, tenders, subnational locations, results and appraisals; • Updating the Access to Information Policy to clarify our rules on Board of Executive Directors records, and limiting the length of time these records can be restricted from public access; and, • Announcing our public disclosure of contract award information for most corporate procurement contracts valued at and above US$250,000. The World Bank also works with our client governments to help them become more open, supporting initiatives in areas such as open budgets and open contracting. In addition, we partner with countries in implementing international development aid transparency initiatives. Governments can use open aid data to integrate aid resources into their national budgets, and to better coordinate donor interventions within their borders. We will continue to open up our data and knowledge, and will encourage governments to do the same. This will allow development stakeholders—especially the poor—to fully understand this information, participate in development processes, and hold governments and development providers accountable. Annual Report FY 2013 v Of course, data and knowledge are not an end in themselves. Ultimately, the true test of our effectiveness is how we use this evidence to change the lives of over a billion people in extreme poverty. Being more open about what we do and what we know is an important step in building that more prosperous and equitable world. Jim Yong Kim vi access to information | The World Bank List of Acronyms and Abbreviations AI Access to Information AI Policy World Bank Policy on Access to Information App Application for mobile device Board World Bank Board of Executive Directors CAS Country Assistance Strategy CC Creative Commons CO Country Office CommNet World Bank Communications Network D&R Documents and Reports database EAP East Asia and Pacific Regional Vice Presidency ECA Europe and Central Asia Regional Vice Presidency ECR External and Corporate Relations Vice Presidency (formerly External Affairs Vice Presidency) ESW Economic Sector Work FY Fiscal Year FY 2011 Fiscal Year 2011, covering the period of July 1, 2010, through June 30, 2011 FY 2012 Fiscal Year 2012, covering the period of July 1, 2011, through June 30, 2012 FY 2013 Fiscal Year 2013, covering the period of July 1, 2012, through June 30, 2013 FY 2014 Fiscal Year 2014, covering the period of July 1, 2013, through June 30, 2014 GSD General Services Department IATI International Aid Transparency Initiative IBRD International Bank for Reconstruction and Development IDA International Development Association IFC International Finance Corporation IMF International Monetary Fund ITS World Bank Group Information and Technology Solutions Vice Presidency LEG Legal Vice Presidency LCR Latin America and Caribbean Region MNA Middle East and North Africa Region OKR Open Knowledge Repository OPCS Operations Policy and Country Services Vice Presidency PAD Project Appraisal Document PD Program Document SAR South Asia Region SD Simultaneous Disclosure SEC Corporate Secretary Vice Presidency VPU Vice Presidential Unit Annual Report FY 2013 vii Executive Summary Making Information Publicly Accessible On June 30, 2013, the World Bank completed the third year of implementing its landmark Policy on Access to Information (AI Policy). In this third year, which covers the fiscal year period of July 1, 2012, through June 30, 2013 (FY 2013), the public made in excess of one million visits to the World Bank’s Documents and Reports database, viewed more than 6.6 million pages and downloaded more than one million files. Through its dedicated public Access to Information (AI) website (i.e., http://www.worldbank.org/wbaccess), the World Bank has made available to the public, for direct searching and browsing, more than 150,000 documents, which includes over 72,000 operational documents, 18,000 legal documents, and 46,000 publications and research reports. This includes over 18,000 documents that the World Bank newly declassified in FY 2013. The World Bank continued to make available to the public through its AI website the documents of its Board of Executive Directors (Board), including the Board’s work program and scheduled discussions, and documents released to the public before Board discussion (i.e., simultaneously disclosed Board documents). In FY 2013, the World Bank simultaneously disclosed 99 Board documents. On May 27, 2013, more than 175 participants from government, donor community, civil society, private sector analysts and researchers participated in the conference “Open Data Development and Transparency Initiative Forum: Discussing the Next Round of Open Development” in Kabul, Afghanistan. The conference, hosted by the Central Statistics Organization in collaboration with the Afghanistan Ministry of Public Health and Ministry of Finance and with support from the World Bank, aimed to sensitize government and policy makers to the concept of open development and its link to economic development. Photo: Sandra Moscoso/World Bank Annual Report FY 2013 1 Providing Information on Request In addition to the information that is readily accessible online, the World Bank responds directly to members of the public on their individual requests for information. Looking at only the public access requests made through the World Bank’s AI online submission system (which does not include requests automatically fulfilled at World Bank country offices and public information centers), the World Bank received 685 new public access requests in FY 2013, and continued to handle 103 cases from previous fiscal years. Of the requests that were addressed to the World Bank and had adequate information to enable the institution to respond, the World Bank fulfilled (in whole or in part) 92 percent. The World Bank endeavors to provide a comprehensive response to public access requests within 20 working days. The AI Policy recognizes that additional time may be needed for special circumstances, such as complex requests or requests that require consultation with internal or external parties. Of the requests completed in FY 2013, 74 percent of the cases received comprehensive responses within 20 working days. Exercising the Prerogative to Disclose Restricted Information Under the AI Policy, the World Bank reserves the right to disclose, under exceptional circumstances, certain restricted information if it determines that the overall benefits of such disclosure outweigh the potential harm. The AI Policy also establishes different authorities to exercise this prerogative, depending on the type of restricted information. For certain restricted information, the Access to Information Committee (AI Committee) has the authority to exercise the World Bank’s prerogative to disclose. In FY 2013, the AI Committee exercised the prerogative to disclose restricted information in one case (which it considered as part of a public interest appeal) and declined to exercise the prerogative in five cases. Appeals The AI Committee also serves as the body that considers first level appeals filed under the AI Policy. In FY 2013, the AI Committee considered six appeals, and upheld the decision to deny access in the six cases. In one of the six cases, while the AI Committee did not find a compelling public interest case for overriding the AI Policy exception that restricted the requested information, the AI Committee decided to exercise the World Bank’s prerogative to disclose a portion of the information at issue based on its determination that the benefit of disclosure would outweigh the potential harm. The AI Appeals Board serves as the second and final level of appeal for those appeals alleging a violation of policy. In FY 2013, two appeals were filed before the AI Appeals Board, and the AI Appeals Board upheld the World Bank’s decisions in both cases. 2 access to information | The World Bank Review of the Public’s Access to Information in FY 2013 The World Bank’s Continued Commitment to Promote Access to Information On July 1, 2013, the World Bank completed its third year of implementing its flagship Policy on Access to Information (AI Policy). In this third year, covering the fiscal year period of July 1, 2012, through June 30, 2013, (hereinafter FY 2013), the World Bank continued to build on the achievements attained through the enabling environment created by the AI Policy. The World Bank focused on its Open Development agenda, which aims to increase accountability and improve development results through transparency and openness. Staff Training To ensure that its staff members are equipped to carry out the institution’s Open Development agenda and the commitments under the AI Policy, in FY 2013, the World Bank continued to train its staff on their roles and responsibilities under the AI Policy. Over 1,400 World Bank staff members took the mandatory Access to Information (AI) e-learning for World Bank staff. Additionally, in December 2012, the External and Corporate Relations Vice Presidency (ECR) provided a week-long Communications Network (CommNet) Forum at World Bank Headquarters for all communications staff throughout the institution. The forum included two one-day technical training sessions on AI and Open Development. The Information and Technology Solutions Vice Presidency (ITS) also trained approximately 450 staff members through its Policy Puzzle training session, which explains the linkage between the AI Policy, the World Bank Group’s Classification and Control Policy, and Records Management Policy. It also trained approximately 150 staff members on the handling of public access requests through the session Case Study: What Happens When a Project is Subject to an AI Request. ITS also hosted a two-day exposition and learning event on filing and managing information and their relevance to AI; approximately 400 staff members visited the AI portion of the exposition. In FY 2013, the public downloaded more than one million documents from the World Bank’s Documents and Reports database. Photo: Dominic Chavez/World Bank Annual Report FY 2013 3 Client and Civil Society Outreach The World Bank also continued to reach out to its clients and civil society counterparts, and to inform them of the AI Policy. During the 2013 World Bank/IMF Spring Meetings, the World Bank held a panel event, The World Bank’s Access to Information Policy & Open Initiatives—Leading the Way Forward, and provided technical training to civil society organizations on the Open Development agenda. As a part of the World Bank’s efforts to decentralize the Open Development agenda, in FY 2013, several multi-Vice Presidential Unit (VPU) outreach missions were carried out in six country offices in the South Asia (SAR) and the East Asia and Pacific (EAP) regions. The missions—led by ECR and carried out with the VPUs of Legal (LEG), Operations Policy and Country Services (OPCS), Controller’s, Development Economics, and the World Bank Institute—focused on building the capacity of country offices (COs) to engage clients and stakeholders on the Open Development agenda and World Bank’s openness initiatives. The communications staff in COs also continued to aid the public’s access to information by responding to requests for information from the public at large, including targeted stakeholders such as nongovernmental organizations, academics, researchers, and development partners. The World Bank recognizes that making data open to the public can only yield results and improve the impact of development interventions if the data is useful for both governments and their citizens, and if the parties have adequate capacity to use the information in a participatory manner. To that end, the World Bank has begun scaling up its support to strengthen the demand side. This has included training journalists and civil society representatives to find, extract and analyze public development data, in countries such as India, Afghanistan and Myanmar. The World Bank has also organized data literacy boot camps in Nepal, Malawi and Bolivia, where participants are able to develop their own projects, small apps and data stories. Teaching civil society and citizens how to use open aid and government data is one way to enable citizens to participate in development. For this purpose, the World Bank has scaled up citizen engagement and beneficiary feedback in its client engagement and operations, to improve client governments’ targeting of aid interventions and service quality. These demand-side activities also serve to complement the World Bank’s support to governments in collecting, curating and publishing more granular, location specific, development information. 4 access to information | The World Bank The World Bank’s Efforts to Make Information Publicly Accessible AI Website Through its dedicated AI website, the World Bank has enabled the public to readily access World Bank documents and data, including access to the World Bank’s lending projects from 1947 to the present, and to more than 150,000 documents that are catalogued in the World Bank’s Documents and Reports (D&R) database. At the end of FY 2013, the D&R database included over 72,000 project documents, 18,000 legal documents, and 46,000 publications and research reports. Open tools and knowledge resources training held in Yangoon, Myanmar, attended by 120 participants from academic and research institutions and United Nations agencies. Photo: Hannah George/World Bank Group World Bank InfoFinder The World Bank has actively promoted the use of mobile devices to support the public’s access to its information. The World Bank InfoFinder application (app) for iPads and iPhones enables mobile users in 131 countries to access the AI Policy, search World Bank projects and operations, documents and reports, and other World Bank information. In FY 2013, for the period of July through December 2012, the InfoFinder app and its update were downloaded over 8,800 times. In January 2013, the World Bank launched a completely new universal version of the InfoFinder app that features an icon-based design, and that filters by language and other enhancements. For the period of January through June 2013, the new universal InfoFinder app was downloaded more than 11,300 times. On average, in FY 2013, users downloaded the InfoFinder app 1,600 times per month. Annual Report FY 2013 5 Newly Released Documents In FY 2013, the World Bank increased the number of documents available to the public by 14 percent. In this period, the World Bank disclosed a significantly larger number of legal documents compared with previous years, as steps were taken to declassify and publicly release historical legal documents covering the periods of 1960 through 1970 and 2001 through 2012, in addition to new legal documents finalized in FY 2013. Table 1 provides a breakdown of the numbers and types of documents publicly released in FY 2013, and the total documents accessible in the D&R database as of June 30, 2013. Table 1. Select Categories of Publicly Released World Bank Documents in FY 2013 Publicly Released in Total Documents Accessible by the Public in D&R Document Type FY 2013 as of June 30, 2013 Country Focus Reports 184 1,887 Board Documents 497 3,241 Economic and Sector Work Reports 1,147 10,698 Project Documents 8,722 72,194 Legal Documents 3,519 18,793 Publications & Research Reports 4,353 46,071 Total 18,422 152,884 Early Release of Board Documents The AI Policy recognizes that papers distributed to the World Bank’s Board of Executive Directors (Board) for discussion or consideration are normally posted at the end of the Board’s deliberative process, once they have been finalized. Operational policy papers, sector strategy papers, Country Assistance Strategy papers (CASs), Project Appraisal Documents (PADs) and Program Documents (PDs) may, however, be disclosed before Board discussion (see AI Policy, paragraph 23(b)). The early release of Board documents is commonly referred to as simultaneous disclosure. CASs, PADs, and PDs may be simultaneously disclosed before Board discussion if the client gives its written consent to such early disclosure. World Bank staff members notify clients of this possibility and encourage simultaneous disclosures. Simultaneously disclosed Board documents are posted in the D&R database, as well as on a dedicated Simultaneous Disclosure webpage. Through this webpage, the public can also subscribe to email alerts, which are sent whenever Board documents are simultaneously disclosed. In FY 2013, the World Bank simultaneously disclosed 99 Board documents before Board discussion. Appendix A of this Report provides a complete list of the Board documents that were released to the public before Board discussion in FY 2013. Publicly Released Board Records The World Bank’s AI website also notifies the public of newly released and recently declassified documents, as well as the Board’s work program and scheduled discussions. In FY 2013, 256 Board records were proactively disclosed by the World Bank. Table 2 provides a breakdown of the Board records that were publicly released in FY 2013. 6 access to information | The World Bank Table 2. Publicly Released Board Records in FY 2013 July - October - January - April - Type of FY 2013 September December March June Board Record Total 2012 2012 2013 2013 Board Minutes 37 16 38 18 109 Summings Up 8 15 9 11 43 Summaries of Discussion 11 18 14 11 54 Green Sheet Summaries 2 8 1 -- 11 Committee Minutes 13 13 3 8 37 Committee Annual Reports -- 1 -- 1 2 TOTAL 71 71 65 49 256 Changes to the AI Policy in FY 2013 – Treatment of Certain Board Records Following its report to the Board titled, World Bank Policy on Access to Information—Experience in the First 18 months of Implementation, issued in December 2012, management proposed certain changes to the AI Policy in early 2013. On April 3, 2013, the Board approved the changes to take effect on July 1, 2013. The AI Policy changes, which are aligned with the World Bank’s commitment to greater transparency, accountability and access to information, pertain to the treatment of verbatim transcripts and statements of Executive Directors and staff prepared in the context of Board and Board Committee meetings. The changes clarify that, in line with the AI Policy’s treatment of Board minutes arising from Executive Sessions and Restricted Executive Sessions, the verbatim transcripts and statements of individual Executive Directors and staff from such meetings are eligible for declassification and public release 20 years after the date of the record. If such records arise from Regular Sessions, the records are eligible for declassification 10 years after the date of the record. In addition to this clarification, the Board also approved limits on the period of time that such records may be restricted from the public. If such records arise from Board and Board Committee meetings held as Regular Sessions, and were prepared on or after July 1, 2013, the World Bank may only exercise the prerogative to restrict access to the records for a period up to a maximum of 20 years after the date of the record. If such records arise from Board and Board Committee meetings held as Executive Sessions and Restricted Executive Sessions and were prepared on or after July 1, 2013, the records may not be subject to the World Bank’s prerogative to restrict access, as such records may not be restricted beyond the maximum of 20 years after the date of the record. The Results – The Public’s Direct Access to Information Held by the World Bank In FY 2013, the World Bank’s D&R database received more than 1,056,500 public visits, and users viewed more than 6.6 million pages and downloaded more than 1,034,000 documents. While the numbers of public visits and documents downloaded decreased in FY 2013 compared with FY 2012, they continue to be substantially larger than those from FY 2011, the first year of the AI Policy’s implementation. Moreover, the number of pages viewed in FY 2013 increased significantly, reflecting an approximate 32 percent increase compared with FY 2012 (5 million pages viewed), and a 46 percent increase compared with those in FY 2011 (4.5 million pages viewed). Annual Report FY 2013 7 Openness and Transparency As a part of the World Bank’s renewed strategic focus to eradicate extreme poverty and boost shared prosperity, the World Bank has adopted an open development approach that promotes openness and transparency as the necessary basis for facilitating increased accountability and improved development results. As an open institution, the World Bank makes its data and knowledge available to its shareholders, partners, and the public. This has helped improve the communication and collaboration efforts between the World Bank and these parties, as well as our ability to generate development solutions together. The World Bank’s focus on openness and transparency has also enabled it to help governments become more transparent, and has been designed to facilitate the institution’s own accountability to its shareholders and partners and, ultimately, to the citizens of its member countries. Building on the success of its landmark AI Policy, the World Bank continues to make strides in creating a more transparent development institution, emerging as a global leader in this area. In 2012, the independent United Kingdom-based organization, Publish What You Fund, prepared an Aid Transparency Index, which rated the World Bank as one of the two best performing donors out of 72 donors in terms of aid transparency (see http://www.publishwhatyoufund.org/index/2012-index/). Having established its leadership in the openness arena, the World Bank is increasingly focused on strengthening demand side capacity for the use of open data by all development stakeholders, including citizens, as an important enabling factor for facilitating increased accountability and more effective development outcomes. Specifically, the World Bank is focused on openness and transparency in three ways: (a) being open about what it knows; (b) being open about what it does; and (c) collaborating with others to promote open development solutions. The following are some important milestones that the World Bank achieved in FY 2013 in promoting the Open Development agenda: Being Open About What We Know Open Access Policy. In April 2012, the World Bank adopted on a pilot basis the Creative Commons (CC) licenses and launched the Open Knowledge Repository (OKR), and in July 2012, the World Bank implemented its Open Access policy. The Open Access policy makes the institution’s formal publications freely accessible in digital form, and through the CC licenses, the public is free to share, use and reuse World Bank published content, so long as attribution is given. The World Bank is the first inter-governmental organization to adopt CC licenses for use on its research publications made publicly available on the OKR. This has enabled others to reuse the content of the World Bank’s formal publications to create their own innovative development solutions. The OKR hosts some 12,000 research and knowledge products across multiple collections and is now registering over 130,000 document downloads per month. Since its launch the OKR has adopted new features including author profiles, enhanced usage statistics and mapping, and citations via Google Scholar. On its first anniversary, the OKR reached its millionth document download. The OKR has been recognized by the American Library Association as a Best Free Reference Web Site. Open Data. Launched in 2010, the Open Data initiative continues to expand its reach and is increasingly focused on usability. Through this initiative, the public has access to more than 9,000 development indicators. Among other things, data portals on health, nutrition and population, gender, poverty and equity, jobs, financial inclusion, and climate change are available. Microdata are also available on more than 650,000 variables from more than 1,200 survey datasets. 8 access to information | The World Bank Open Knowledge. Since FY 2012, the World Bank has continued to support six knowledge platforms— Open Development Technology Alliance, Urbanization, Green Growth, Jobs, Secure Nutrition, and the Hive (Fragility, Conflict, and Violence)—as experiments in collaborative knowledge generation. The knowledge platform concept aims to connect teams of researchers, experts and practitioners from around the world, who in turn connect with others to identify what is known and not known about an issue, and, ultimately, to collaborate on research, solve problems, and expand the knowledge base and the network of people involved. The World Bank is also working with countries to create national delivery knowledge hubs for development, which are expected to contribute to the development of a science of delivery. China, South Africa, and Brazil have volunteered to work with the World Bank to establish the first wave of knowledge hubs. Lastly, the World Bank has supported, since its inception, the South-South Knowledge Exchange Facility, which provides funding for developing countries to exchange knowledge and expertise for the purpose of learning about development choices and forming development solutions. The World Bank has used this facility to fund (at a cost of about $8.8 million) over 136 South-South exchanges between practitioners in over 80 countries. The World Bank’s Open Data Initiative gives the public access to more than 9,000 development indicators and microdata on more than 650,000 variables from more than 1,200 survey databases. Photo: Albes Fusha/World Bank Being Open About What We Do Projects and Operations. The Projects and Operations portal, which is available in six languages, provides the public with easy access to detailed information on over 11,000 lending projects in over 100 countries from 1947 onward. Geo-coded project locations are also included in the portal, making it easier to map World Bank projects. The public can use the database to find over 145,000 documents including country strategies, project databases, project maps, detailed information about World Bank products and services, results of World Bank work, and information on how these results are measured. The World Bank also makes data on its projects and operations available in the open source International Aid Transparency Initiative (IATI) format. In FY 2013, the World Bank made substantial efforts Annual Report FY 2013 9 to upgrade its IATI data by publishing more frequently, on a quarterly basis, and by improving the comprehensiveness of the data through the inclusion of links to organization and country level documents as well as project level information on contracts, tenders, subnational locations, results and appraisals. Open Finances. The World Bank’s Open Finances website continues to empower the public by enabling the public’s access to and use of financial data about IBRD, IDA and IFC activities. Through the Open Finances website, the public can access a summary of current loans, credits and grants for each current and former borrower and donor of the World Bank. The summaries are updated on a monthly basis, with historical data going back to the World Bank’s first loan in 1947. The site also allows the public to access information on funds that the World Bank manages. Open Finances allows users to slice and dice datasets, visualize data, share data with other site users and through social networks, and access data through the use of nine languages with a mobile app for Android and iPhone/iPad. Contract Information. In May 2013, the World Bank announced its decision to begin publicly disclosing on a quarterly basis certain corporate procurement contract award information for contracts valued at and above US$250,000. The World Bank also makes available on its corporate procurement website a summary of its policies and procedures, copies of standard contract terms and conditions, a guide to doing business with the World Bank, the vendor eligibility policy, and a listing of current business opportunities. Additionally, the World Bank publishes procurement notices and contract awards for World Bank- funded operations on the freely available World Bank Group Finances mobile app (available for iOS, Android, and web). The World Bank also began the process of preparing an Open Contracting pilot, the objective of which is to enable civil society to use open data to hold governments accountable for the use of public funds, a catalyst for transferring accountability systems into the hands of citizens. The Open Contracting pilot, scheduled for implementation in two to three countries, will explore increasing public access to information by helping clients develop open contracting systems (i.e., moving data and documentation to the public sphere). Collaborating to Promote Open Development Solutions Supporting Governments in increasing transparency. The World Bank continues to work with governments to help them become more transparent, for example in implementing their commitments to the Open Government Partnership, a multilateral initiative that aims to secure concrete commitments from governments to promote transparency, empower citizens, fight corruption, and harness new technologies to strengthen governance. The World Bank also participates in the Open Aid Partnership, which brings together development partners, governments, civil society organizations, foundations, and the private sector to improve aid transparency and effectiveness. In addition, the World Bank supports governments in the implementation of a number of international transparency initiatives, such as, inter alia, the Extractive Industries Transparency Initiative, the Construction Transparency Initiatives, and the Global Initiative for Fiscal Transparency. Supporting Open Government Data. Several partners including Kenya, Moldova, Tanzania, Rwanda, Peru, Antigua and Barbuda and Ulyanovsk State (Russia) continue to work on their own national open data initiatives with World Bank support. The World Bank has developed an Open Data Toolkit of guidelines and resources to support the World Bank and its client governments in designing open 10 access to information | The World Bank data programs. The toolkit contains a Readiness Assessment Tool that can guide a team through analyzing a country’s technical, institutional and legal landscape and produce actionable recommendations for developing an open government data program. Table 3 sets forth key World Bank websites that provide an overview of the World Bank’s openness initiatives. Table 3. The World Bank’s Openness Initiatives – Websites Access to Information World Bank http://worldbank.org/wbaccess IFC http://ifc.org/disclosure MIGA http://miga.org/access Open Operations Open Projects & Operations https://worldbank.org/projects Corporate Scorecard http://corporatescorecard.worldbank.org Mapping for Results, Georesults & On-track http://maps.worldbank.org Open Contracting http://open-contracting.org Open Data http:/data.worldbank.org Open Development Data Helpdesk: data@worldbank.org Open Government Data http:/data.worldbank.org/open-government-data-toolkit Open Finances http:/finances.worldbank.org Partnerships Aid Flows http://aidflows.org Open Government Partnership http://opengovernmentpartnership.org Open Aid Partnership http://openaidmap.org Open Development Technology Alliance http://odta.org International Aid Transparency Initiative http://aidtransparency.net Extractive Industries Transparency Initiative http://eiti.org/about/mdtf Multi-Donor Trust Fund Global Partnership for Social Accountability http://worldbank.org/gpsa Tools ADePT & CAPI http://worldbank.org/adept Hackathons & Apps Competitions http://innovation.worldbank.org Boost http://worldbank.org/publicfinances Knowledge Open Knowledge Repository, http://openknowledge.worldbank.org Open Access Policy & Apps for Development South-South Knowledge Exchange http://wbi.worldbank.org/sske Climate Change Knowledge portal http://sdwebx.worldbank.org Urbanization Knowledge Platform http://urbanknowledge.org Green Growth Knowledge Platform http://greengrowthknowledge.org Jobs Knowledge Platform http://jobsknowledge.org The Hive: Knowledge Platform on Fragility, http://thehivefcv.org Conflict and Violence Secure Nutrition Knowledge Platform http://securenutritionplatform.org Global Forum on Law, http://globalforumljd.org Justice and Development E-Institute http://einstitute.worldbank.org Annual Report FY 2013 11 The World Bank’s Response to Public Requests for Information Public Requests for Information In addition to the World Bank’s proactive disclosures and extensive efforts to make information readily accessible to the public online, the institution releases information to the public on request. The majority of the AI requests is handled by the institution’s Archives Unit, InfoShop (ECR) and communications staff in COs. Counting only those requests electronically received through the World Bank’s AI online submission system, in FY 2013, the World Bank received 685 public access requests. The number of requests captured through the AI online submission system decreased by 10.7 percent compared with FY 2012. In addition to the public access requests submitted through the AI online submission system, communications staff in COs handled and responded to numerous requests for information. Table 4 shows the breakdown of the public access requests received by the World Bank in FY 2013 through the AI online submission system and the institutional units that managed them. Table 4. Public Requests for Information Received by the World Bank in FY 2013 July– October– January– April– Responsible September December March June Totals Units 2012 2012 2013 2013 Archives 119 113 122 81 435 InfoShop / CO 58 63 76 53 250* communications staff TOTAL 177 176 198 134 685 * Of the 250 cases, 231 were handled by InfoShop and 19 by CO communications staff; this number does not include the number of requests for information directly handled by CO communications staff that are not channeled through the AI online submission system. Requests Handled and Completed in FY 2013 In addition to the 685 new public access requests received in FY 2013, the World Bank continued to handle 16 cases carried over from FY 2011 and 87 cases carried over from FY 2012. Of the total 788 cases handled in FY 2013, the World Bank completed 703 cases (i.e., 89 percent, compared with 88 percent in FY 2012 and 84 percent in FY 2011). At the end of FY 2013, 85 cases (11 percent) remained under consideration. Table 5 shows the public access requests completed by the World Bank in FY 2013 per quarterly period according to the institutional units that managed them. Table 5. Public Requests for Information Completed by the World Bank in FY 2013 July– October– January– April– Responsible September December March June Totals Units 2012 2012 2013 2013 Archives 98 104 133 107 442 InfoShop / CO 69 68 71 53 261 communications staff TOTAL 167 172 204 160 703* * Of the 703 cases completed in FY 2013, the World Bank had received 15 of the cases in FY 2011, 70 of the cases in FY 2012, and 618 of the cases in FY 2013. 12 access to information | The World Bank Of the 703 requests completed in FY 2013, 493 were properly addressed to the World Bank and provided adequate information to enable the World Bank to respond. Of the remaining completed requests: (a) 69 requests required more information from the requesters to fulfill, but when asked for more information, the requesters were unresponsive; (b) 19 requests for information are governed by other disclosure policies or regimes (i.e., Independent Evaluation Group (eight requests), Inspection Panel (one request), Institutional Integrity (three requests), International Finance Corporation (five requests), Sanctions Board (two requests)); (c) 80 requests for data were handled through the Open Data Initiative—Data Finder; and (d) 42 requests were for documents not found in the World Bank’s custody. Table 6 shows how the requests completed in FY 2013 were resolved. Table 6. Resolution of Completed Requests in FY 2013 Of the Completed Requests Requests Requests Additional Covered by Referred to World Records Not Fulfilled Information Other Disclosure Bank Data Finder Found in Completed or Needed Policy/Regime World Bank by Denied – Requester or Information Custody Unresponsive Held by Other Organizations Archives 442 318 27 12 57 28 InfoShop / CO communications 261 175 42 7 23 14 staff Total 703 493 69 19 80 42 Requests Fulfilled or Denied in FY 2013 Of the 493 requests that were properly addressed to the World Bank in FY 2013 and had adequate information to enable the institution to respond, 92 percent (455 requests) were fulfilled in whole or in part; this fulfillment rate is consistent with that of FY 2012. The remaining eight percent (38 requests) were denied in whole. Of the 24 requests fulfilled in part: (a) in seven cases the information is, in part, restricted by an AI Policy exception; (b) in seven other cases, the records were not found in the World Bank’s custody; and (c) in 10 cases, the requester did not respond to the World Bank’s request for additional information to enable it to fully consider the request. Of the seven requests fulfilled in part, the partial denials were due to the following AI Policy exceptions: (a) in two cases the information is restricted by the Personal Information exception, of which one case also contains information restricted by the Attorney-Client Privilege exception, and the other case also contains information restricted by the Information Provided by Member Countries or Third Parties in Confidence exception; (b) in one case the information is restricted by both the Security and Safety and the Financial Information exceptions; (c) in one case the information is restricted by the Information Provided by Member Countries or Third Parties in Confidence exception; and (d) in three cases the information is restricted by the Deliberative Information exception, of which one also contains information restricted by the Corporate Administrative Matters exception, and one by the Financial Information exception. Table 7 shows the number of requests fulfilled (in whole and in part) and the number of requests denied (in whole) in FY 2013. Table 8 provides a breakdown of the reasons for all denials issued in FY 2013. Annual Report FY 2013 13 Table 7. Requests Fulfilled / Denied in FY 2013 Of the Requests that were Fulfilled / Denied Total Requests Requests Fulfilled Requests Fulfilled Requests Denied Fulfilled or Denied (in whole) (in part) (in whole) Archives 318 (64.5%) 277 16 25 InfoShop / CO 175 (35.5%) 154 8 13 communications staff Total 493 (100%) 431 (87%)* 24 (5%)* 38 (8%) * World Bank fulfilled—in whole and in part—a total of 455 cases (92.3 percent of the total number of requests fulfilled or denied). Table 8. Reasons for Denials (in whole and in part) Issued in FY 2013 InfoShop / CO Responsible Unit Archives Unit communications Total staff Number of Denied Requests 29 16 45 Personal Information 1 1 2* Attorney-Client Privilege 2 -- 2 Security and Safety -- 1 1** Denial Based on AI Policy Exception Information Provided by Member Countries or 11 2 13*** Third Parties in Confidence Corporate Administrative Matters 4 2 6 Deliberative Information 10 10 20**** Denial for Prerogative to Restrict 1 -- 1 Other Reasons * In two of the cases the requested information is also restricted by other AI Policy exceptions as follows: in one case by the Attorney-Client Privilege exception, and in the other case by the Information Provided by Member Countries or Third Parties in Confidence exception. ** The requested information in this case is also restricted by the Financial Information exception. *** In three of the cases the requested information is also restricted by the Financial Information exception. **** In nine of the cases the requested information is also restricted by the AI Policy as follows: one case by the Personal Information exception; one case by the Security and Safety and Information Provided by Member Countries or Third Parties in Confidence exceptions; one case by the Corporate Administrative Matters exception, and in one case by the Financial Information exception; and five cases by the World Bank’s exercise of prerogative to restrict access. Timeliness of World Bank Response The AI Policy states that the World Bank endeavors to provide a comprehensive response to requests within 20 working days, recognizing that additional time may be needed for special circumstances, such as complex requests or requests that require consultation with internal or external parties. Of the 703 requests completed in FY 2013, the World Bank provided comprehensive responses to 74 percent of the requests within 20 working days and, on average, took seven working days to complete. Table 9 provides a snapshot of the timeliness of the requests completed in FY 2013. Table 9. Time Required to Issue Final Response – Requests Completed in FY 2013 Final Response Time Completed Requests Percentage Within 20 Working Days 523 74% More than 20 Working Days 180 26% Total 703 100% 14 access to information | The World Bank For cases that required more than 20 working days to complete in FY 2013, the cases took an average of 114 working days to complete. Of the 180 cases that took more than 20 working days to complete, 15 carried over from FY 2011 and 53 carried over from FY 2012, and the rest, 112 cases, were received in FY 2013. Some cases involved documents that, due to their age, nature and/or volume, must be accessed in-person at World Bank offices; the World Bank treats such cases as pending and open until the requesters have physically accessed the records. Of the 15 cases that carried over from FY 2011, six were delayed in closing due to the requesters’ pending visits to the World Bank Headquarters to access the documents; the 15 cases averaged 396 days to complete. Of the 53 cases that carried over from FY 2012, 17 were held open pending the requesters’ in-person access of the records; the 53 cases averaged 150 days to complete. Of the 112 cases received in FY 2013 that took more than 20 working days to complete, 10 were held open pending the requesters’ in-person access of the records; the 112 cases averaged 59 days to complete. A summary of the reasons for the additional response times are provided in the next section of this Report. At the end of FY 2013, 85 cases remained under consideration. One case carried over from FY 2011, and 17 carried over from FY 2012. The World Bank received the remaining 67 cases in FY 2013; of which, 51 exceeded the 20 working day response time, and the remaining 16 were received on or after June 4, 2013, and, thus, had not exceeded the 20 working day standard at the end of FY 2013. Reasons for Additional Response Time Of the 180 cases that required additional time to complete in FY 2013, the Archives Unit handled 145 of the cases, and the InfoShop/CO communications staff handled 35 of the cases. The cases involved one or more of the following circumstances: • Required translation; • Were complex and/or voluminous (i.e., documents and/or oral histories requiring extensive review by the Archives Unit); • Required consultations with relevant business units and/or external parties, including member countries and/or the requesters; • Required referral to the AI Committee and/or the Board for consideration; • Required the World Bank to seek additional information from the requesters in order to fulfill the requests, but the requesters were unresponsive; • Required reopening the case because the requester modified the original request by seeking additional documents; • Required the requesters to visit the World Bank’s Archives in person to review the requested documents (such cases are held open until the requesters physically access the documents that have been identified as responsive to the requests); and/or • Required contact with business units to locate or identify documents or to file in accordance with the AI Policy. Annual Report FY 2013 15 The World Bank’s Exercise of its Prerogative to Disclose Restricted Information Under the AI Policy, the World Bank reserves the right, in exceptional circumstances, to disclose information restricted by the Corporate Administrative Matters, Deliberative Information, and Financial Information (other than banking and billing) exceptions if the World Bank determines that the benefit of disclosure would outweigh the potential harm to the interests protected by the exceptions (AI Policy, paragraph 18). The AI Committee (see Appendix G) has authority to exercise the World Bank’s prerogative to disclose documents restricted by these exceptions, if the documents are not Board papers or Board records classified as Confidential or Strictly Confidential or are not information provided to the World Bank by a member country or third party in confidence. For Board papers or records classified as Confidential or Strictly Confidential, the Board holds the authority to exercise the World Bank’s prerogative to disclose. If the information was provided to the World Bank by a member country or third party in confidence, such party would need to consent to the disclosure. In FY 2013, the AI Committee considered exercising the prerogative to disclose restricted information in six cases. The AI Committee declined to exercise the prerogative to disclose in five cases, following its consideration of whether the benefit of disclosure would outweigh the potential harm. The five cases involved information restricted by the Corporate Administrative Matters and/or the Deliberative Information exceptions. The AI Committee exercised the prerogative to disclose in one case, which the AI Committee considered as part of an appeal filed based on public interest grounds. Appendix B of this Report sets forth the cases that the AI Committee considered in FY 2013 to exercise the World Bank’s prerogative to disclose restricted information. Teaching civil society and citizens to use open aid and government data is one way to enable citizens to participate in development. Photo: HUMA/World Bank 16 access to information | The World Bank Appeals Filed in FY 2013 One of the guiding principles of the AI Policy is to recognize a requester’s right to an appeals process if the requester is denied access to information by the World Bank. A requester may file an appeal asserting: (a) that the World Bank violated the AI Policy by improperly or unreasonably restricting access to information that it would normally disclose under the AI Policy (hereinafter violation of policy appeal); or (b) that there is a public interest to override the AI Policy’s exceptions that restrict the disclosure of the requested information, limited to information restricted by the Corporate Administrative Matters, Deliberative Information and Financial Information (other than banking and billing) exceptions (hereinafter public interest appeal). Violation of policy appeals are considered in the first instance by the AI Committee; if the AI Committee upholds the decision to deny access, the requester is given the opportunity to file an appeal to the AI Appeals Board for consideration. In violation of policy appeals, the AI Appeals Board’s decisions are final. Public interest appeals are considered by the AI Committee, whose decisions are final for such appeals. If the World Bank denies a requester’s request for information, the institution directly informs the requester of the decision and of his/her right to file an appeal. To make the appeals process easy for the requester, the World Bank sends the requester an electronic link to submit the appeal. Similarly, if the AI Committee upholds the decision to deny access in violation of policy appeals, the requester is directly informed of his/her right to file a second level appeal before the AI Appeals Board, and is provided an electronic link for easy access to, and submission of, the second level appeal, which would be considered by the AI Appeals Board. To facilitate public access to the decisions on appeals, in FY 2013, the World Bank started publishing the decisions online in its AI website. AI Committee The AI Committee serves as the first level of appeal for those appeals alleging a violation of policy, and as the first and final level of appeal for those appeals asserting a public interest. The members of the AI Committee are listed in Appendix G of this Report. In FY 2013, the AI Committee decided on six appeals. The AI Committee upheld the World Bank’s initial decision to deny access in the six cases. In one appeal, the AI Committee dismissed the case in part because the matter was not within the AI Committee’s authority to consider. In another appeal, while the AI Committee did not find that a compelling public interest case had been made to override the AI Policy exception restricting access to the requested information, the AI Committee decided to exercise the World Bank’s prerogative to disclose a portion of the requested information based on its determination that the benefit of disclosure outweighs the potential harm. The appeals that the AI Committee decided on in FY 2013 are listed in Appendix C, and the related decisions are set out in their entirety in Appendix D, of this Report. The AI Committee makes its best efforts to reach a decision within 45 working days of receiving the appeal (AI Policy, paragraph 37). In FY 2013, the AI Committee took an average of 51.6 working days to conclude its considerations on appeals. This included consultations with relevant business units. Annual Report FY 2013 17 AI Appeals Board The AI Appeals Board serves as the second and final level of appeal for those appeals alleging a violation of policy. The members of the AI Appeals Board are listed in Appendix H of this Report. In FY 2013, the AI Appeals Board received two appeals. The AI Appeals Board upheld the AI Committee’s decisions on appeals upholding the World Bank’s initial decision to deny access in both cases. The appeals that the AI Appeals Board decided on in FY 2013 are listed in Appendix E, and the related decisions are set out in their entirety in Appendix F, of this Report. Profiles and Interests of Requesters Requesters are not required to identify themselves, and as a matter of practice, the World Bank does not identify requesters when considering their requests. Personal information regarding individual requesters is only available to parties who are involved in handling the requests. Requesters, however, are given the opportunity to indicate their affiliation when filing a request. To better understand the members of the public who request information from the World Bank and how the institution might better serve them, the World Bank also conducted a survey that invited all members of the public who had electronically submitted a public access request to the World Bank in FY 2013 (2013 AI Survey). Respondents of the 2013 AI Survey provided information about their demographics (i.e., professional affiliations, geographical location) and the topics related to their information requests. The data provided below are gathered from the public access request submission forms and the 2013 AI Survey results. Professional Affiliations of Requesters – Information Provided with Request Submission Table 10 below gives some indication of the requesters’ profiles in FY 2013. According to the requesters’ self- classification (based on their selection when submitting their information requests), similar to both FY 2011 and FY 2012, the top three professional affiliations of requesters are academia/education (52 percent), non- governmental organization (15 percent) and consultant (9 percent). Table 10. Requesters’ Affiliations in FY 2013 Affiliations Requesters Percentage Academia / Education 353 52% Non-Governmental Organization 102 15% Consultant 63 9% Business or Private Enterprise 35 5% Government 21 3% Media 10 2% Development Agency 15 2% Legal 10 2% Association 6 1% Other 57 8% Not specified by requester 13 2% Total 685 100% 18 access to information | The World Bank Professional Affiliations of Requesters – 2013 AI Survey The chart below provides a snapshot of the professional affiliations of the 128 respondents in the 2013 AI Survey. Based on the survey responses, academia/education continued to top the list (52 percent), followed by business or private enterprise (11 percent), non-governmental/civil society organization (6 percent), government (6 percent) and multilateral development agency (6 percent). Chart 1. Requesters’ Professional Affiliations (128 survey respondents) 52% Academic/Education 11% Business or private enterprise 6% Non-governmental organization/civil society organization 6% Government 6% Multilateral development agency 3% Other public international organization 2% Media 15% Other Geographical Locations of Persons Requesting Information from the World Bank As part of the 2013 AI Survey, persons who had requested information from the World Bank were asked about their geographical location; 111 respondents answered the question. Chart 2 below provides a breakdown of the respondents’ geographical locations by the following regional categories: Europe and Central Asia (ECA); United States and Canada; South Asia (SAR); Latin America and Caribbean (LCR); East Asia and Pacific (EAP); Africa (AFR); Australia and New Zealand; and Middle East and North Africa (MNA). Thirty-one percent of the respondents are located in borrower countries (based on the IBRD/IDA and Blend Countries list; see Operational Policy 3.10, Annex D). All survey respondents from the LCR,1 SAR,2 and AFR3 are located in borrower countries. Seventy percent of the survey respondents from EAP4 and sixty-seven percent of the respondents from MNA5 are located in borrower countries. All respondents from ECA are located in non-borrower countries. 1 Argentina: 2; Bolivia: 1; Brazil: 1; Chile: 2; Mexico: 3; and Peru: 1 2 Afghanistan: 1; India: 4; and Pakistan: 3 3 Cote d’Ivoire: 1; Ghana: 1; Kenya: 1; Nigeria: 1; Senegal: 1; Swaziland: 1; and Uganda: 1 4 China: 1; Indonesia: 1; Korea: 1; Papua New Guinea: 1; Philippines: 2; and Thailand: 1 5 Lebanon: 1; and Tunisia: 1 Annual Report FY 2013 19 Chart 2. Geographical Location of Requesters (111 survey respondents) 31% Europe and Central Asia 31% United States and Canada 9% East Asia and Pacific 8% Latin America and Caribbean 7% South Asia 6% Africa 4% Australia and New Zealand 3% Middle East and North Africa Language of Requests Of the 685 public access requests received in FY 2013, 12 percent used online submission forms in languages other than English. Table 11 shows the languages used in cases received by the World Bank in FY 2013. Table 11. Language Used in Online Submission Forms Received by the World Bank: FY 2013 Language of Requests Requesters English 603 Spanish 48 French 15 Arabic 12 Portuguese 2 Russian 2 Chinese 1 Not reported 2 Total 685 Requesters’ Interests As reflected by the information sought by requesters in FY 2013, for those requests that concerned regional information, LCR received the most interest, followed closely by AFR and then SAR. Table 12 provides a breakdown (as relevant) of the requests that involved regional information. 20 access to information | The World Bank Table 12. Requests Related to Regional Information: FY 2013 Regions Requested Information Latin American and Caribbean 135 Africa 125 South Asia 61 East Asia and Pacific 60* Europe and Central Asia 51** Middle East and North Africa 50 Worldwide (all regions) 3 Not indicated by the requester when submitting the request 200 TOTAL 685 * One case also involves information concerning LCR, and another case also involves information concerning ECA, LCR and SAR. ** One case also involves information concerning LCR. The 2013 AI Survey also sought to ascertain the public’s areas of interest by asking the requesters to indicate the topics that relate to the information that they had requested. The survey question received responses from 87 requesters, who made 243 selections of topics related to their requests. The chart below provides a breakdown of the survey responses on the topics of information that had been requested in FY 2013. The top five areas of interest are: (i) finance; (ii) agriculture, fishing and forestry; (iii) industry and trade; (iv) water sanitation and flood protection; and (v) energy and mining. Survey respondents selecting the “Other” category were asked to write in relevant topics; the write-in topics can be categorized as follows: carbon finance; country specific issues; economics and development; governance/anticorruption; internal World Bank governance; financial information; environmental issues; statistics; gender; population; and procurement. Chart 3. Requesters’ Areas of Interest – Requested Information by Topics (87 survey respondents) 14.0% Finance 9.5 %  Agriculture, fishing and forestry 9.1 %  Industry and trade 8.2 %  Energy and mining 8.2 %  Water sanitation and flood protection 7.8 %  Transportation 7.0 %  Public administration, law and justice 6.2 %  Health and other social sectors 4.9 %  Education 3.7 %  Information and communications 21.4% Other Annual Report FY 2013 21 Looking Forward Recognizing that access to information can only yield results if the governments and citizens have the adequate capacity to use the information in a participatory manner, the World Bank is committed to supporting stakeholders in strengthening this capacity. Increasing citizen engagement and attaining their feedback will help donors and governments improve their aid interventions, and will complement the support that the World Bank provides to client governments. The World Bank will also continue its focus on improving the quality, relevance and frequency of information that is made available to the public, as these measures are crucial for meeting our common goal of eradicating extreme poverty and boosting shared prosperity. Photo: Arne Hoel/World Bank 22 access to information | The World Bank APPENDIX A. Board Documents Released Before Board Discussion in FY 2013 No. Report No. Title 1. 75117-MZ Mozambique - Ninth Poverty Reduction Support Credit Program 2. 75473-CV Cape Verde - Transport Sector Reform Project 3. 75849-LR Liberia - First Poverty Reduction Strategy Credit Project 4. 76483-BD Bangladesh - Safety Net Systems for the Poorest Project 5. 74482-BD Bangladesh - First Phase of the Coastal Embankment Improvement Project 6. 76053-MR Mauritania - Local Government Development Program Project 7. 75750-BR Brazil - Pernambuco Equity and Inclusive Growth Development Policy Loan 8. 74112-CN China - Guangdong Social Security Integration and Rural Worker Training Project 9. 76233-ML Mali - Interim strategy note for the period FY14-15 10. PAD 463-CN China - Anhui Xuancheng Infrastructure for Industry Relocation Project 11. PAD239-BR Brazil - Rio Grande Do Norte Regional Development and Governance Project 12. 76239-HN Honduras - Rural Infrastructure Project 13. 67219-HT Haiti - Economic Reconstruction and Growth Development Policy Grant Program 14. PAD258-BR Brazil - Sao Paulo Sustainable Transport Project 15. 75523-HN Honduras - Water and Sanitation Sector Modernization Project: additional financing 16. 76430-GH Ghana - Natural Resources and Environmental Governance Technical Assistance Project 17. 76945-GH Ghana - Greater Accra Metropolitan Area Sanitation and Water Project 18. 65455-BR Brazil - Belo Horizonte Inclusive Urban Development Policy Loan Program 19. 77003-BR Brazil - Strengthening Public Sector Management Technical Assistance Project 20. 76352-HN Honduras - Country partnership strategy for the period FY 2012-2015 21. 63430-CL Chile - Sustainable Land Management Project 22. 76503-LR Liberia - Accelerated Electricity Expansion Project 23. 72341-MENA Middle East and North Africa - Desert Ecosystems and Livelihoods Knowledge Sharing and Coordination Project 24. 76583-BY Belarus - Energy Efficiency Project : restructuring 25. 75184-BF Burkina Faso - Youth Employment and Skills Development Project 26. 76730-NE Niger - Third Community Action Program Support Project 27. 73411-LS Lesotho - First Growth and Development Policy Grant Project 28. 74404-CN China - Guangxi Laibin Water Environment Project 29. 73409-CN China - Ma’anshan Cihu River Basin Improvement Project 30. 71813-AG Antigua and Barbuda - Public and Social Sector Transformation Project 31. 73247-ST Sao Tome and Principe - Second Governance and Competitiveness Development Policy Operation Project 32. 76790-HT Haiti - Business Development and Investment Project 33. 74836-GZ West Bank and Gaza - Fifth Palestinian Reform and Development Plan Program 34. 72310-YE Yemen - Public Finance Modernization Project : additional financing 35. 75313-BF Burkina Faso - Donsin Transport Infrastructure Project 36. 67945-HT Haiti - Improving Maternal and Child Health through Integrated Social Services Project 37. 76718-ZR Congo, Democratic Republic of - Governance Capacity Enhancement Project 38. 72350-BR Brazil - Sergipe Development through Inclusion Project Annual Report FY 2013 23 No. Report No. Title 39. 75889-BI Burundi - Sustainable Coffee Landscape Project 40. 75292-NE Niger - Second Shared Growth Credit Project 41. 75939-MZ Mozambique - Climate Resilience : Transforming Hydro-Meteorological Services Project 42. 75924-ZM Republic of Zambia - Water Resources Development Project 43. 74246-MZ Mozambique - First Agriculture Development Policy Operation Project (AgDPO) 44. 67387-IN India - National AIDS Control Support Project 45. 75232-LS Lesotho - Maternal and Newborn Health Performance-Based Financing Project 46. 74281-DJ Djibouti - Improving Health Sector Performance Project 47. 74922-KM Comoros - Emergency Crises Response Project : additional financing 48. 75411-YE Yemen - Fourth Social Fund for Development Project : additional financing 49. 74313-PA Panama - Country partnership strategy for the period FY11-14 : Panama - Country Partnership Strategy for the period FY11-14 50. 74011-MZ Mozambique - Mining and Gas Technical Assistance Project 51. 75530-NG Nigeria - State Education Program Investment Project 52. 75250-LK Sri Lanka - Second Health Sector Development Project 53. 75667-TJ Tajikistan - Environmental Land Management and Rural Livelihoods Project 54. 72075-NE Niger - Transport Sector Program Support Project : additional financing 55. 74444-NI Nicaragua - Second Land Administration Project 56. 73399-MA Morocco - Social and Integrated Agriculture Project 57. 73406-PA Panama - Second Programmatic Fiscal Management and Efficiency of Expenditures Development Policy Loan Project 58. 74405-CN China - Liaoning Coastal Economic Sustainable Development Project 59. 73408-CN China - Jiangxi Poyang Lake Basin and Ecological Economic Zone Small Town Development Project 60. 72284-JO Jordan - Micro, Small and Medium Enterprises Development for Inclusive Growth Project 61. 74451-YE Yemen - Republic of - Emergency Crisis Recovery Grant Project 62. 74445-PG Papua New Guinea - Energy Sector Development Project 63. 72143-YE Yemen - Second Basic Education Development Project 64. 74878-YE Yemen - Road Asset Management Project 65. 73802-NA Namibia - Additional Financing for the Namibian Coast Conservation and Management Project 66. 73407-UA Ukraine - Development of the state statistics system for monitoring the social and economic transformation project (DEVSTAT) 67. 72281-MG Madagascar - Emergency Support to Critical Education, Health and Nutrition Services Project 68. 72394-MG Madagascar - Emergency Infrastructure Preservation and Vulnerability Reduction Project 69. 73042-HN Honduras - Disaster Risk Management Project 70. 68617-JO Jordan - Badia Ecosystem and Livelihood Project 71. 72378-GZ West Bank and Gaza - Water Supply and Sewage Systems Improvement Project 72. 71799-TN Tunisia - Governance, Opportunities, and Jobs Development Policy Lending (DPL) Project 73. 72398-MX Mexico - Sustainable Rural Development Project : additional financing 74. 71827-AL Albania - Water Resources and Irrigation Project 24 access to information | The World Bank No. Report No. Title 75. 67746-NI Nicaragua - Adaptation of Water Supplies to Climate Change Project 76. 72453-UY Uruguay - Public Sector Management and Social Inclusion Development Policy Loan Program 77 69231-NI Nicaragua - Country partnership strategy for the period FY13-FY17 78. 69187-KE Kenya - Adaptable Program Lending for Infrastructure Finance and Public-Private Partnership Project 79. 73038 Investment lending reform : modernizing and consolidating operational policies and procedures 80. 71885-HT Haiti - Interim strategy note for the period FY13-FY14 81. 70931-BI Burundi - Sixth Economic Reform Support Grant Project 82. 72449-BA Bosnia and Herzegovina - Real Estate Registration Project 83. 68078-BF Burkina Faso - Additional Financing for the International Institute for Water and Environmental Engineering Project 84. 72337-PK Pakistan - Second Additional Financing for Third Partnership for Polio Eradication Project 85. 71882-HT Haiti - Additional Financing for the Infrastructure and Institutions Emergency Recovery Project 86. 65586-NG Nigeria - Second Phase of the Rural Access and Mobility Project 87. 72266-HT Haiti - Rebuilding Energy Infrastructure and Access Project 88. 70208-GT Guatemala - First Programmatic Development Policy Loan Project 89. 68066-CR Costa Rica - Higher Education Improvement Project 90. 67464-LR Liberia - Additional Financing for the Road Asset Management Project : restructuring 91. 69593-UY Uruguay - Support to Uruguayan Public Schools Project 92. 70812-SC Seychelles - First Sustainability and Competitiveness Development Policy Loan Program 93. 69229-GT Guatemala - Country partnership strategy for the period FY2013-2016 94. 71661-RU Russian Federation - Forest Fire Response Project 95. 66664-MX Mexico - Sustainable Production System and Biodiversity Project 96. 68036 Central African Republic - Third Additional Financing of the CEMAC Transport and Transit Facilitation Project 97. 69499-EG Egypt - Second Phase of the Multi-country Regional Coordination on Improved Water Resources Management and Capacity Building Program (APL 2) Project 98. 56261-BR Brazil - Tocantins Integrated Sustainable Regional Development Project 99. 68036 Central African Republic - Third Additional Financing of the CEMAC Transport and Transit Facilitation Project Annual Report FY 2013 25 APPENDIX B. Exercise of the World Bank’s Prerogative to Disclose Restricted Information – Cases Considered by the AI Committee in FY 2013 Case No. AI Policy Exception(s) Exercise of the World Bank’s Requested Information Prerogative to Disclose Restricted Information 1. AI2025 Corporate Administrative No President’s memorandum titled Restatement of Matters and Deliberative Staff Retirement Plan and Retired Staff Benefits Plan; Information Formalization of Plan Trust, 2001 2. AI2172 Corporate Administrative No World Bank Staff Surveys Matters 3. AI2399 Corporate Administrative No World Bank Staff Surveys Matters 4. AI2335 Deliberative Information No Summary of Discussion concerning the Climate Change Development Loan to Mexico (P110849) (Official Use Only) 5. AI2414 Deliberative Information No Mexico State Pension Survey 6. AI2359 Corporate Administrative Yes Corporate procurement information concerning the Matters (in part; see AIC decision on appeal) consulting project (Selection #1061565, BEEPS V Turkey) 26 access to information | The World Bank APPENDIX C. Appeals Concluded by the AI Committee in FY 2013 Case Type of Appeal Upheld or Reversed Applicable Exception(s) Information Requested Violation Public World Bank of AI Interest Decision to Deny Policy Access 1. AI2359 X Upheld Corporate Administrative Matters Corporate procurement information Exercised the concerning the consulting project prerogative to disclose (Selection #1061565, BEEPS V Turkey) a portion of the requested information 2. AI2605 X X Upheld Security and Safety; Information Audio recording of a meeting with local (no violation of policy) Provided by Member Country or stakeholders and partially dismissed Third Party in Confidence; (matter not subject Deliberative Information to appeal on public interest basis) 3. AI2623 X Upheld Information Provided by Member Emission Reduction Purchase Agreement Country or Third Party in Confidence for the Pico Bonito Sustainable Forests Project (PO92987) 4. AI2624 X Upheld Information Provided by Member Emission Reduction Purchase Agreement Country or Third Party in Confidence for the Kenya Agricultural Carbon Project (PO107798) 5. AI2625 X Upheld Information Provided by Member Emission Reduction Purchase Agreement Country or Third Party in Confidence for the Kenya Green Belt Movement Project (PO99628) 6. AI2732* X Upheld Deliberative Information Study done by Mott MacDonald on Cumulative Impacts of Hydropower Projects on Ganga River * While the decision for this appeal was issued in FY 2014, the AIC considered the case in FY 2013. Annual Report FY 2013 27 APPENDIX D. AI Committee Decisions on Appeals in FY 2013 The appeals decisions are presented in the order of the case numbers, and in the same form as they were issued to the requesters. Any modification of the original language in the appeals decisions, or provision of explanation, is set forth in brackets. To facilitate public access to the decisions, the World Bank has published the decisions online on its Access to Information website. Appeal # 1 Case Number AI2359: Corporate procurement information concerning the consulting project (Selection #1061565, “BEEPS V Turkey”) Summary of Decision 1. The requester filed an appeal against the World Bank’s decision to deny access to certain corporate procurement information concerning the “consulting project (Selection #1061565, “BEEPS V Turkey”)”. 2. Under the AI Policy, the World Bank does not provide access to information relating to the World Bank’s corporate administrative matters, including, but not limited to, corporate expenses, procurement, real estate, and other activities. Such information is restricted by the “Corporate Administrative Matters” exception under the AI Policy. 3. The Access to Information Committee (“AIC”) found that the requested information consists of certain corporate procurement information. On this basis, the AIC concluded that the requested information is restricted from disclosure by the “Corporate Administrative Matters” exception under the AI Policy. 4. Because the AIC found no compelling public interest reason to override the “Corporate Administrative Matters” exception restricting the requested information, the AIC upheld the Bank’s decision to deny public access to the requested information. 5. Notwithstanding the above, the AIC additionally considered whether the benefit of disclosing the requested information would outweigh the potential harm; this consideration took into account the request and the views of the relevant business units. Based on these considerations, the AIC decided, pursuant to its authority provided by paragraph 18 (c) of the AI Policy, to exercise the Bank’s prerogative to disclose a portion of the requested information. DECISION 1. On January 18, 2013, the World Bank (“Bank”) denied a public access request for certain corporate procurement information concerning the “consulting project (Selection #1061565, “BEEPS V Turkey”)” (“Request”). The Request was denied on the basis that the requested information is restricted by the “Corporate Administrative Matters” exception under the Bank’s Access to Information Policy (the “AI Policy”). On March 18, 2013, the secretariat to the Access to Information Committee (the “AIC”) received the attached application (“Application”) appealing the Bank’s decision to deny public access to the requested information. 28 access to information | The World Bank 2. The Application challenges the decision to deny public access on the ground that there is a “public interest” case to override the AI Policy exception that restricts the requested information. The Application states the following: The “GUIDELINES: SELECTION AND EMPLOYMENT OF CONSULTANTS BY WORLD BANK BORROWERS” stipulates under para 2.6 (“Short lists of consultants”) that “Firms that expressed interest, as well as any other firm that specifically so requests, shall be provided the final short list of firms”. The GUIDELINES under para 2.28 (“Publication of the Award of Contract”) further stipulates that “2.28 After the award of contract, the borrower shall publish in UNDB online and in dgMarket the following information: (a) the names of all consultants who submitted proposals; (b) the technical points assigned to each consultant; (c) the evaluated prices of each consultant; (d) the final point ranking of the consultants; (e) the name of the winning consultant and the price, duration, and summary scope of the contract. The same information shall be sent to all consultants who have submitted proposals.” The information I requested under Case Number AI2359 exactly falls under the above stipulations. However, the request was rejected on January 18, 2013 quoting the Exception 8 (“Corporate Administrative Matters”) under the World Bank’s Access to Information Policy (“the Policy”). The first question to be addressed in this respect is whether the shortlisting and award of TA contracts to consultants advertised on the World Bank’s wbgeconsult2 website is a corporate administrative matter. The straightforward answer is yes because these contracts are awarded to “operational consultants” and are financed either from the Bank’s own budget or from trust funds. Accordingly, as corporate administrative matters pertain to “including, but not limited to, corporate expenses, procurement, real estate and other activities”, these contracts fall under this exception. More generally, as the World Bank is not a BORROWER, it is not bound by above-mentioned GUIDELINES. If the exception is crystal clear, why I am appealing against this rejection decision? The “Policy” states that the Bank’s Access to Information Committee may approve the disclosure of restricted information under this exception if the “overall benefits of such disclosure outweigh the potential harm to the interest(s) protected by the exception(s)”. I feel that I don’t need to prove that there is a “public interest” in disclosing the information under this particular case or even under all potential cases for “operational consultant” contracts. It is up to the Committee [to] decide which interest(s) this exception protect(s). More generally, the esteemed Committee might wish to ask if there is public interest in disclosure of short list and contract information by BORROWERS, why it is harmful for the Bank to disclose similar information; and how the Bank may maintain the above-mentioned rules if the BORROWERS ask for a similar exception? Findings and Decision of the Access to Information Committee 3. The AIC considered the Application on the basis of whether the requester was able to make a public interest case to override the “Corporate Administrative Matters” exception restricting the requested information. In reviewing the Application in accordance with the AI Policy, the AIC considered: Annual Report FY 2013 29 (a) the Request; (b) the Application; (c) the nature of the requested information; (d) the “Corporate Administrative Matters” exception under the AI Policy that justified the Bank’s initial decision to deny public access; and (e) the information provided by the relevant business units concerning the requested information. “Public Interest” case 4. Pursuant to the AI Policy, a requester may file an appeal on a “public interest” basis if the requester is able to make a public interest case to override certain AI Policy exceptions that restrict the requested information. Public interest appeals are limited to information restricted under the “Corporate Administrative Matters”, “Deliberative Information”, and “Financial Information (other than banking and billing information)” exceptions (see paragraph 36 (b) of the AI Policy). 5. The AIC found that the requested information is of a corporate procurement nature and, thus, is restricted by the “Corporate Administrative Matters” exception under the AI Policy. The AIC discussed whether the public interest assertion in the Application merited overriding the “Corporate Administrative Matters” exception restricting the requested information. The AIC found no compelling public interest reason to override the “Corporate Administrative Matters” exception of the AI Policy on which the Bank initially based its decision to deny public access to the requested information. 6. For these reasons, in response to the public interest appeal, the AIC decided to uphold the Bank’s decision to deny public access to the requested information. 7. Under the AI Policy, the decision of the AIC is final for appeals that assert a public interest case to override an AI Policy exception (see paragraph 37 of the AI Policy). 8. Notwithstanding the above, the AIC additionally considered whether the benefit of disclosing the requested information would outweigh the potential harm. This consideration took into account the Request and the views of the relevant business units. Based on these considerations, the AIC decided, pursuant to its authority provided by paragraph 18 (c) of the AI Policy, to exercise the Bank’s prerogative to disclose a portion of the requested information (i.e., name of the winning bidder and contract value). Thus, please find such portion of the requested information below: (a) name of the winning bidder: Ipsos- Mori; and (b) contract value: US$330,000. 30 access to information | The World Bank Appeal # 2 Case Number AI2605: Audio recording of a meeting with local stakeholders Summary of Decision 1. The requester filed an appeal against the World Bank’s decision to deny public access to an audio recording of a meeting. The appeal asserts both “violation of policy” and “public interest”. 2. Under the AI Policy, information whose disclosure is likely to endanger the life, health, or safety of any individual, or the environment is restricted by the “Security and Safety” exception. The World Bank also has an obligation to protect information that it receives in confidence and, thus, does not provide access to information provided to it by a member country or a third party on the understanding of confidentiality, without the express permission of that member country or third party; such information is restricted by the “Information Provided by Member Countries or Third Parties in Confidence” exception under the AI Policy. Additionally, information prepared for, or exchanged during the course of, the World Bank’s deliberations with member countries or other entities with which the World Bank cooperates is restricted by the “Deliberative Information” exception under the AI Policy. 3. The Access to Information Committee (“AIC”) found that: (a) the entity that requested and organized the meeting for which the requested information was prepared represented local stakeholders, some of whom attended the meeting, on whose behalf the entity requested in writing that the meeting be treated as “strictly confidential”; (b) disclosure of the requested information is likely to endanger the life, health or safety of local stakeholders attending the meeting and of other individuals; (c) the requested information consists of an audio recording of portions of the meeting reflecting deliberations between the World Bank and other entities with which the World Bank cooperates and was made solely for the purpose of verifying translation; and (d) the requester attended the meeting as participant. 4. Based on the above, with respect to the appeal asserting a “violation of policy”, the AIC concluded that the audio recording is restricted from disclosure by three AI Policy exceptions, i.e., “Information Provided by Member Countries or Third Parties in Confidence”, “Security and Safety”, and “Deliberative Information”. Thus, the World Bank’s decision to deny public access on the basis of these three AI Policy exceptions did not violate the AI Policy. For this reason, the AIC upheld the World Bank’s decision to deny public access to the audio recording. 5. With respect to the appeal asserting “public interest”, the AIC found that the AI Policy does not allow the restriction of information pursuant to the “Security and Safety” and/or “Information Provided by Member Countries or Third Parties in Confidence” exceptions (or “Deliberative Information” containing information restricted by such exceptions) to be appealed on public interest ground (see AI Policy at paragraph 36(b)). The Application is, therefore, not properly before the AIC. For this reason, and pursuant to paragraph 40 (c) of the AI Policy, this portion of the appeal is dismissed for appealing a matter that the AIC does not have authority to consider. Annual Report FY 2013 31 DECISION 1. On April 10, 2013, the World Bank (“Bank”) denied a public access request to an audio recording of a meeting held with certain local stakeholders (“Request”). The Request was denied on the basis that the requested information is restricted by the “Security and Safety”, “Information Provided by Member Countries or Third Parties in Confidence”, and “Deliberative Information” exceptions under the Bank’s Access to Information Policy (“AI Policy”). On April 10, 2013, the secretariat to the Access to Information Committee (“AIC”) received the attached application (“Application”) appealing the Bank’s decision to deny public access to the requested information. 2. The Application indicates two grounds for the appeal, namely “violation of policy” and “public interest”. The Application states, in its relevant part, the following: Considering I was one of the attendees in this meeting, it is very difficult to see how any of these exceptions can be justified. Allowing participants to the meeting access to the recording would enable us to have a more complete and accurate record of the meeting. (…). Each of us in the meeting would like a copy of the recording. We are not requesting that the recording be published or made generally available. We are asking that Bank staff share with us the recording (…) Findings and Decision of the Access to Information Committee 3. In reviewing the Application in accordance with the AI Policy, the AIC considered: (a) the Request; (b) the Application and the grounds on which the requester appealed the Bank’s denial of public access; (c) the nature of the requested information, i.e., an audio recording (“Recording”); (d) the “Security and Safety”, the “Information Provided by Member Countries or Third Parties in Confidence”, and the “Deliberative Information” exceptions under the AI Policy that justified the Bank’s initial decision to deny public access; and (e) the information provided by the relevant business unit concerning the Recording. 4. The AI Policy endeavors to strike an appropriate balance between the need to grant the public maximum access to information in the Bank’s possession, and the Bank’s obligation to respect the confidentiality of its clients, shareholders, employees, and other parties (see AI Policy at paragraph 3). Pursuant to the AI Policy, information is considered for disclosure to the public, not for individual or private use. The AIC noted that this Application was also filed on the basis of “public interest” ground. For these reasons, the AIC considered that the Application is requesting the Recording to be made available to the public. “Violation of the AI Policy” 5. Pursuant to the AI Policy, a requester who is denied public access to information by the Bank may file an appeal if the requester is able to establish a prima facie case that the Bank has violated the AI Policy by improperly or unreasonably restricting access to information that it would normally disclose under the AI Policy (see AI Policy at paragraph 36 (a)). The AI Policy states that the Bank “does not provide access to documents 32 access to information | The World Bank that contain or refer to information listed in paragraphs 8-17” of the AI Policy, which set out the AI Policy’s list of exceptions. Paragraph 12 of the AI Policy states, under the “Security and Safety” exception, that the Bank does not provide access to information whose disclosure is likely to endanger the life, health, or safety of any individual, or the environment (see AI Policy at paragraph 12 (c)). Paragraph 14 of the AI Policy provides, under the “Information Provided by Member Countries or Third Parties in Confidence” exception, that the Bank has an obligation to protect information that it receives in confidence and, thus, does not provide access to information provided to it by a member country or a third party on the understanding of confidentiality, without the express permission of that member country or third party (see AI Policy at paragraph 14). Paragraph 16 of the AI Policy explicitly states, under the “Deliberative Information” exception, that the Bank does not provide access to information prepared for, or exchanged during the course of, the Bank’s deliberations with member countries or other entities with which the Bank cooperates (see AI Policy at paragraph 16 (a)). 6. The AIC found that the entity that requested and organized the meeting represented local stakeholders, some of whom attended the meeting, and on whose behalf the entity requested in writing that the meeting be treated as “strictly confidential”. The AIC also found that the Recording contains information that, if disclosed, is likely to endanger the life, health or safety of local stakeholders attending the meeting and of other individuals. Additionally, the AIC found that the Recording consists of portions of the meeting and reflects deliberations between the Bank and other entities with which the Bank cooperates and was made solely for the purpose of verifying translation. Finally, the AIC found that the requester attended the meeting as participant. 7. Based on the above findings, the AIC concluded that the Bank had properly and reasonably denied public access to the requested information based on the “Information Provided by Member Countries or Third Parties in Confidence”, “Security and Safety” and “Deliberative Information” exceptions under the AI Policy and, therefore, did not violate the AI Policy. For this reason, the AIC decided to uphold the Bank’s decision to deny public access to the Recording. 8. Under the AI Policy, if the AIC upholds the initial decision to deny public access to information in appeals alleging “violation of policy”, the requester can appeal to the Access to Information Appeals Board (the “AI Appeals Board”) as the second and final stage of appeals (see AI Policy at paragraph 38). [To facilitate the filing of appeals, the requester was provided an electronic link for easy access to, and submission of, the second level appeals form, which would be considered by the AI Appeals Board; the URL address for the appeals form was also provided.] “Public Interest” case 9. Pursuant to the AI Policy, a requester may file an appeal on a “public interest” basis if the requester is able to make a public interest case to override certain AI Policy exceptions that restrict the information requested. Public interest appeals are limited to information restricted under the Corporate Administrative Matters, Deliberative Information, and Financial Information (other than banking and billing information) exceptions (see AI Policy at paragraph 36 (b)). 10. In this case, the Recording is restricted by three AI Policy exceptions, i.e., “Security and Safety”, “Information Provided by Member Countries or Third Parties in Confidence”, and “Deliberative Information”. As public interest appeals are limited to information restricted under the Corporate Administrative Matters, Deliberative Information, and Financial Information (other than banking and billing information) exceptions (see AI Policy at paragraph 36 (b)), the AI Policy does not allow the restriction of information pursuant to the “Security and Safety” and/or “Information Provided by Member Countries or Third Parties in Confidence” exceptions (or Annual Report FY 2013 33 “Deliberative Information” containing information restricted by such exceptions) to be appealed on public interest ground (see AI Policy at paragraph 36 (b)). The Application is, therefore, not properly before the AIC. 11. For the above reasons, and pursuant to paragraph 40 (c) of the AI Policy, this portion of the appeal is dismissed for appealing a matter that the AIC does not have authority to consider. 12. Under the AI Policy, the decision of the AIC is final for appeals that assert a public interest case to override an AI Policy exception (see AI Policy at paragraph 37). Appeal # 3 Case Number AI2623: Emission Reduction Purchase Agreement (ERPA) for the Pico Bonito Sustainable Forests Project (PO92987) Summary of Decision 1. The requester filed an appeal against the World Bank’s decision to deny public access to the “Emission Reduction Payment Agreement (ERPA) for the Pico Bonito Sustainable Forests Project (PO92987) approved on June 30, 2006.” The Bank had denied access of the ERPA based on two AI Policy exceptions, namely the “Information Provided by Member Countries or Third Parties in Confidence” and the “Financial Information” exceptions. 2. The AI Policy recognizes that the World Bank has an obligation to protect information that it receives in confidence from a member country or a third party, and does not provide access to such information unless the member country or third party concerned provides express permission authorizing disclosure; such information is restricted by the AI Policy’s “Information Provided by Member Countries or Third Parties in Confidence” exception. 3. The Access to Information Committee (“AIC”) found that the requested ERPA contains information that the parties to the agreement provided in confidence, with the understanding that the information would be kept confidential, and for which the parties have not expressly authorized disclosure. 4. Additionally, the AIC found that, while the Bank incorrectly asserted that the ERPA is covered by the AI Policy’s “Financial Information” exception, the error is harmless, as the ERPA remains restricted by the AI Policy’s “Information Provided by Member Countries or Third Parties in Confidence” exception. 5. Based on the above, the AIC concluded that the World Bank properly restricted disclosure of the requested information in accordance with the AI Policy. For this reason, the AIC upheld the World Bank’s decision to deny access to the requested information. DECISION 1. On April 22, 2013, the World Bank (“Bank”) denied a public access request for the “Emission Reduction Payment Agreement (ERPA) for the Pico Bonito Sustainable Forests Project (PO92987) approved on June 30, 2006” (“Request”). The Request was denied on the basis that the requested information is restricted by the “Information Provided by Member Countries or Third Parties in Confidence” and the “Financial Information” 34 access to information | The World Bank exceptions under the Bank’s Access to Information Policy (“AI Policy”). On April 22, 2013, the secretariat to the Access to Information Committee (“AIC”) received the attached application (“Application”) appealing the Bank’s decision to deny public access to the requested information. 2. The Application challenges the decision to deny public access on the basis that the denial is a violation of the AI Policy. The Application states the following: This document has been incorrectly classified as confidential based on exceptions #7 and #10 under the policy. It is a bank generated document, signed by a third party contractor, not a country generated document, and is not financial information in the sense of the policy. Further, this project has been terminated, so whatever rationale for confidentiality there was […] is no longer relevant. Findings and Decision of the Access to Information Committee 3. The AIC considered the Application on the basis of whether the decision to deny public access to the requested information violated the AI Policy. In reviewing the Application in accordance with the AI Policy, the AIC considered: (a) the Request; (b) the Application; (c) the nature of the requested information, i.e., the Emission Reduction Payment Agreement (ERPA) for the Pico Bonito Sustainable Forests Project (PO92987), dated June 30, 2006; (d) the “Information Provided by Member Countries or Third Parties in Confidence” and the “Financial Information” exceptions under the AI Policy that justified the Bank’s initial decision to deny public access; and (e) the information provided by the relevant business units concerning the requested ERPA. “Violation of the AI Policy” 4. Pursuant to the AI Policy, a requester who is denied public access to information by the Bank may file an appeal if the requester is able to establish a prima facie case that the Bank has violated the AI Policy by improperly or unreasonably restricting access to information that it would normally disclose under the AI Policy (see AI Policy at paragraph 36 (a)). The AI Policy states that the Bank “does not provide access to documents that contain or refer to information listed in paragraphs 8-17” of the AI Policy, which set out the AI Policy’s list of exceptions. 5. The Bank had denied access to the ERPA in this case on the basis of two AI Policy exceptions, namely the “Information Provided by Member Countries or Third Parties in Confidence” and the “Financial Information” exceptions. With respect to the “Information Provided by Member Countries or Third Parties in Confidence” exception, the AI Policy recognizes that the Bank has an obligation to protect information that it receives in confidence and, thus, does not provide access to information provided to it by a member country or a third party on the understanding of confidentiality, without the express permission of that member country or third party (see AI Policy at paragraph 14). The AI Policy further recognizes that “information may be given by a Annual Report FY 2013 35 member country or third party (explicitly or implicitly) in confidence” and that such information would be restricted from disclosure pursuant to the “Information Provided by Member Countries or Third Parties in Confidence” exception (see AI Policy, footnote 11). 6. To better understand the expectations of confidentiality by the parties to the ERPA, on June 5, 2013, the AIC met with staff of the relevant business units. The staff first explained that, in the context of ERPAs, the Bank serves in the capacity of a trustee, acting on behalf of the fund participants, and not on its own behalf. They further explained that, because of the competitive nature of the carbon fund transactions, the participants have been willing to enter into purchase agreements only if their transactions would be kept confidential, and that this understanding is the standard practice in the carbon finance business. The staff noted that, because prices of individual transactions are always confidential, the Bank has published annual reports called “The State and Trends of the Carbon Market” and “State of the Forest Carbon Market,” which publish pricing trends at an aggregate level, in order to provide more transparency to the market. 7. The staff also explained that, before the AI Policy went into effect (i.e., July 1, 2010), the expectation of confidentiality by the fund participants and the project entities to the ERPA was implicit. ERPAs did not include a confidentiality provision because the Bank’s former disclosure policy did not require the disclosure of such agreements. In recognition of the Bank’s AI Policy—which indicates that the Bank allows access to any information in its possession that is not covered by the AI Policy’s list of exceptions—all ERPAs, beginning July 1, 2010, included an explicit clause, at section 12.02, titled Disclosure of Information. The clause explicitly recognizes that all information provided by the parties in the commercial negotiations leading to the ERPA shall be kept confidential and not disclosed, setting out specific circumstances that could trigger disclosure. 8. Based on the information presented, the AIC found that, the ERPA in this case predates the AI Policy, and while it does not have an explicit confidentiality clause, the parties entered into the agreement with the implied understanding that the information within the ERPA would be kept confidential. In view of the parties’ expectations of confidentiality, and no record of the occurrence of circumstances that would trigger disclosure, including the parties’ express authorization to disclose, the AIC found that the ERPA in this case is properly restricted by the AI Policy’s “Information Provided by Member Countries or Third Parties in Confidence” exception. 9. With respect to the Bank’s assertion of the AI Policy’s “Financial Information” exception as a basis for denying access, the AIC found that the exception is not intended to apply to the type of financial information reflected in the ERPA. While the AIC found that the Bank’s attribution of the “Financial Information” exception to the ERPA was in error, the AIC found the error to be harmless, as the ERPA remains restricted by the “Information Provided by Member Countries or Third Parties in Confidence” exception. 10. Based on the above findings, the AIC concluded that the Bank had properly and reasonably denied public access to the information requested and, therefore, did not violate the AI Policy. For this reason, the AIC upheld the Bank’s decision to deny public access to the ERPA in this case. 11. Under the AI Policy, if the AIC upholds the initial decision to deny public access to information in appeals alleging “violation of policy,” the requester can appeal to the Access to Information Appeals Board (“AI Appeals Board”) as the second and final stage of appeals (see AI Policy at paragraph 38). [To facilitate the filing of appeals, the requester was provided an electronic link for easy access to, and submission of, the second level appeals form, which would be considered by the AI Appeals Board; the URL address for the appeals form was also provided.] 36 access to information | The World Bank Appeal # 4 Case Number AI2624: Emission Reduction Purchase Agreement (ERPA) for the Kenya Agricultural Carbon Project (PO107798) Summary of Decision 1. The requester filed an appeal against the World Bank’s decision to deny public access to the “Emission Reduction Payment Agreement (ERPA) for the Kenya Agricultural Carbon Project (PO107798) approved [November] 15, 2010 under the Bio-Carbon Fund.” 2. The AI Policy recognizes that the World Bank has an obligation to protect information that it receives in confidence from a member country or a third party, and does not provide access to such information unless the member country or third party concerned has given its express permission authorizing disclosure; such information is restricted by the “Information Provided by Member Countries or Third Parties in Confidence” exception under the AI Policy. 3. The Access to Information Committee (“AIC”) found that the requested ERPA contains information that the parties to the agreement provided in confidence, with the understanding that the information would be kept confidential, and for which the parties have not expressly authorized disclosure. 4. Based on the above, the AIC concluded that the World Bank properly restricted disclosure of the requested information based on the AI Policy’s “Information Provided by Member Countries or Third Parties in Confidence” exception. For this reason, the AIC upheld the World Bank’s decision to deny public access to the requested information. DECISION 1. On April 9, 2013, the World Bank (“Bank”) denied a public access request for the “Emission Reduction Payment Agreement (ERPA) for the Kenya Agricultural Carbon Project (PO107798) approved Nov. 15, 2010 under the Bio-Carbon Fund” (“Request”). The Request was denied on the basis that the requested information is restricted by the “Information Provided by Member Countries or Third Parties in Confidence” exception under the Bank’s Access to Information Policy (“AI Policy”). On April 10, 2013, the secretariat to the Access to Information Committee (“AIC”) received the attached application (“Application”) appealing the Bank’s decision to deny public access to the requested information. 2. The Application challenges the decision to deny public access on the basis that the denial violates the AI Policy. The Application states the following: The Bank has inaccurately classified this class of documents (ERPA’s) as information provided by member countries/third parties in confidence. They are bank generated contracts for payments for emission reductions, based on a standardized template, and it is unclear whether there is any information in them whose release would cause harm to the business interests of any party. In addition the Bank could request to the other party for their disclosure. Annual Report FY 2013 37 Findings and Decision of the Access to Information Committee 3. The AIC considered the Application on the basis of whether the decision to deny public access to the requested information violated the AI Policy. In reviewing the Application in accordance with the AI Policy, the AIC considered: (a) the Request; (b) the Application; (c) the nature of the requested information, i.e., the Emission Reduction Purchase Agreement for the Kenya Agricultural Carbon Project (PO107798), under the Bio-Carbon Fund, dated November 15, 2010; (d) the “Information Provided by Member Countries or Third Parties in Confidence” exception under the AI Policy that justified the Bank’s initial decision to deny public access; and (e) the information provided by the relevant business units concerning the requested ERPA. “Violation of the AI Policy” 4. Pursuant to the AI Policy, a requester who is denied public access to information by the Bank may file an appeal if the requester is able to establish a prima facie case that the Bank has violated the AI Policy by improperly or unreasonably restricting access to information that it would normally disclose under the AI Policy (see AI Policy at paragraph 36 (a)). The AI Policy states that the Bank “does not provide access to documents that contain or refer to information listed in paragraphs 8-17” of the AI Policy, which set out the AI Policy’s list of exceptions. 5. The Bank had denied access to the ERPA in this case on the basis of the “Information Provided by Member Countries or Third Parties in Confidence” exception. AI Policy provides that, under the “Information Provided by Member Countries or Third Parties in Confidence” exception, the Bank has an obligation to protect information that it receives in confidence and, thus, does not provide access to information provided to it by a member country or a third party on the understanding of confidentiality, without the express permission of that member country or third party (see AI Policy at paragraph 14). The AI Policy further recognizes that “information may be given by a member country or third party (explicitly or implicitly) in confidence” and that such information would be restricted from disclosure pursuant to the “Information Provided by Member Countries or Third Parties in Confidence” exception (see AI Policy, footnote 11). 6. The AIC found that, in the context of ERPAs, the Bank serves in the capacity of a trustee, acting on behalf of the fund participants. The ERPA in this case includes an explicit clause, at section 12.02, titled Disclosure of Information, which recognizes that all information provided by the parties (i.e., the project entity and the fund participants, represented by the Bank, as trustee of Biocarbon Fund) in the commercial negotiations leading to the ERPA shall be kept confidential and not disclosed, setting out specific circumstances that could trigger disclosure. 7. Based on the information before the AIC, the AIC concluded that the parties entered into the agreement with the explicit understanding that the information within the ERPA would be kept confidential. In view of the parties’ expectations of confidentiality, and the fact that the circumstances that would trigger disclosure 38 access to information | The World Bank under the ERPA have not occurred and that there is no record of the parties’ express authorization to disclose, the AIC found that the ERPA in this case is properly restricted by the AI Policy’s “Information Provided by Member Countries or Third Parties in Confidence” exception. 8. Based on the above findings, the AIC decided that the Bank had properly and reasonably denied public access to the information requested and, therefore, did not violate the AI Policy. For this reason, the AIC upheld the Bank’s decision to deny public access to the ERPA in this case. 9. Under the AI Policy, if the AIC upholds the initial decision to deny public access to information in appeals alleging “violation of policy,” the requester can appeal to the Access to Information Appeals Board (“AI Appeals Board”) as the second and final stage of appeals (see AI Policy at paragraph 38). [To facilitate the filing of appeals, the World Bank provided the requester with an electronic link for easy access to, and submission of, the second level appeals form, which would be considered by the AI Appeals Board; the URL address for the appeals form was also provided.] Appeal # 5 Case Number AI2625: Emission Reduction Payment Agreement (ERPA) for the Kenya Green Belt Movement Project (PO99628) Summary of Decision 1. The requester filed an appeal against the World Bank’s decision to deny public access to the “Emission Reduction Payment Agreement (ERPA) for the Kenya Green Belt Movement Project (PO99628), under the Bio-Carbon Fund,” dated November 15, 2010. 2. The AI Policy recognizes that the World Bank has an obligation to protect information that it receives in confidence from a member country or a third party, and does not provide access to such information unless the member country or third party concerned provides express permission authorizing disclosure; such information is restricted by the “Information Provided by Member Countries or Third Parties in Confidence” exception under the AI Policy. 3. The Access to Information Committee (“AIC”) found that the requested ERPA contains information that the parties to the agreement provided in confidence, with the understanding that the information would be kept confidential, and for which the parties have not expressly authorized disclosure. 4. Based on the above, the AIC concluded that the World Bank properly restricted disclosure of the requested information in accordance with the AI Policy. For this reason, the AIC upheld the World Bank’s decision to deny access. DECISION 1. On April 9, 2013, the World Bank (“Bank”) denied a public access request for the “Emission Reduction Payment Agreement (ERPA) for the Kenya Green Belt Movement Project (PO99628) under the Bio-Carbon Fund” (“Request”). The Request was denied on the basis that the requested information is restricted by the “Information Provided by Member Countries or Third Parties in Confidence” exception under the Bank’s Annual Report FY 2013 39 Access to Information Policy (“AI Policy”). On April 9, 2013, the secretariat to the Access to Information Committee (“AIC”) received the attached application (“Application”) appealing the Bank’s decision to deny public access to the requested information. 2. The Application challenges the decision to deny public access on the basis that the denial is a violation of the AI Policy. The Application states the following: The document requested, an Emission Reduction Payment Agreement, is inaccurately classified as confidential under exception to the policy “information provided by member countries or third parties in confidence”. It is a bank generated document, signed by the project proponent, and is not a country owned or generated document. While the ERPA may have been signed with an understanding of confidentiality, the ERPA itself is likely to have an confidentiality expiration date of five years contained within it. Additionally, the Bank could easily request to the project proponent authorization to disclose. Lastly, there is an important public interest at stake which [outweighs] the financial, business or proprietary interests of the project proponent, if such interests actually even exist, which is doubtful. Findings and Decision of the Access to Information Committee 3. The AIC considered the Application on the basis of whether the decision to deny public access to the requested information violated the AI Policy. In reviewing the Application in accordance with the AI Policy, the AIC considered: (a) the Request; (b) the Application; (c) the nature of the requested information, i.e., the Emission Reduction Purchase Agreement (“ERPA”) for the Kenya Green Belt Movement Project (PO99628) under the Bio-Carbon Fund, dated November 15, 2006; (d) the “Information Provided by Member Countries or Third Parties in Confidence” exception under the AI Policy that justified the Bank’s initial decision to deny public access; and (e) the information provided by the relevant business units concerning the requested ERPA. “Violation of the AI Policy” 4. Pursuant to the AI Policy, a requester who is denied public access to information by the Bank may file an appeal if the requester is able to establish a prima facie case that the Bank has violated the AI Policy by improperly or unreasonably restricting access to information that it would normally disclose under the AI Policy (see AI Policy at paragraph 36 (a)). The AI Policy states that the Bank “does not provide access to documents that contain or refer to information listed in paragraphs 8-17” of the AI Policy, which set out the AI Policy’s list of exceptions. 5. The Bank had denied access to the ERPA in this case on the basis of the “Information Provided by Member Countries or Third Parties in Confidence” exception. The AI Policy recognizes, under the “Information Provided by Member Countries or Third Parties in Confidence” exception, that the Bank has an obligation to 40 access to information | The World Bank protect information that it receives in confidence and, thus, does not provide access to information provided to it by a member country or a third party on the understanding of confidentiality, without the express permission of that member country or third party (see AI Policy at paragraph 14). The AI Policy further recognizes that “information may be given by a member country or third party (explicitly or implicitly) in confidence” and that such information would be restricted from disclosure pursuant to the “Information Provided by Member Countries or Third Parties in Confidence” exception (see AI Policy, footnote 11). 6. To better understand the expectations of confidentiality by the parties to the ERPA, on June 5, 2013, the AIC met with staff of the relevant business units. The staff first explained that, in the context of ERPAs, the Bank serves in the capacity of a trustee, acting on behalf of the fund participants, and not on its own behalf. They further explained that, because of the competitive nature of the carbon fund transactions, the participants have been willing to enter into purchase agreements only if their transactions would be kept confidential, and that this understanding is the standard practice in the carbon finance business. The staff noted that, because prices of individual transactions are always confidential, the Bank has published annual reports called “The State and Trends of the Carbon Market” and “State of the Forest Carbon Market,” which publish pricing trends at an aggregate level, in order to provide more transparency to the market. 7. The staff also explained that, before the AI Policy went into effect (i.e., July 1, 2010), the expectation of confidentiality by the fund participants and the project entities to the ERPA was implicit. ERPAs did not include a confidentiality provision because the Bank’s former disclosure policy did not require the disclosure of such agreements. In recognition of the Bank’s AI Policy—which indicates that the Bank allows access to any information in its possession that is not covered by the AI Policy’s list of exceptions—all ERPAs, beginning July 1, 2010, included an explicit clause, at section 12.02, titled Disclosure of Information. The clause explicitly recognizes that all information provided by the parties in the commercial negotiations leading to the ERPA shall be kept confidential and not disclosed, setting out specific circumstances that could trigger disclosure. 8. Based on the information presented, the AIC found that, the ERPA in this case predates the AI Policy, and while it does not have an explicit confidentiality clause, the parties entered into the agreement with the implied understanding that the information within the ERPA would be kept confidential. In view of the parties’ expectations of confidentiality, and no record of the occurrence of circumstances that would trigger disclosure, including the parties’ express authorization to disclose, the AIC found that the ERPA in this case is properly restricted by the AI Policy’s “Information Provided by Member Countries or Third Parties in Confidence” exception. 9. Based on the above findings, the AIC concluded that the Bank had properly and reasonably denied public access to the information requested and, therefore, did not violate the AI Policy. For this reason, the AIC upheld the Bank’s decision to deny public access to the ERPA in this case. 10. Under the AI Policy, if the AIC upholds the initial decision to deny public access to information in appeals alleging “violation of policy,” the requester can appeal to the Access to Information Appeals Board (“AI Appeals Board”) as the second and final stage of appeals (see AI Policy at paragraph 38). [To facilitate the filing of appeals, the requester was provided an electronic link for easy access to, and submission of, the second level appeals form, which would be considered by the AI Appeals Board; the URL address for the appeals form was also provided.] Annual Report FY 2013 41 Appeal # 6 Case Number AI2732: Study done by Mott MacDonald on Cumulative Impacts of Hydropower Projects on Ganga River Summary of Decision 1. The requester filed an appeal against the World Bank’s decision to deny access to “a copy of [the] study done by Mott MacDonald on Cumulative Impacts of Hydropower Projects on Ganga River.” 2. Under its Policy on Access to Information (“AI Policy”), the World Bank does not provide access to information prepared for or exchanged in the course of its own internal deliberations. Such information is restricted by the AI Policy’s “Deliberative Information” exception. 3. The Access to Information Committee (“AIC”) found that the requested information was commissioned by the World Bank for its own deliberations and is, thus, restricted from disclosure by the “Deliberative Information” exception. 4. Based on the statements set forth in the appeal, the AIC did not find adequate information to determine a clearly compelling basis for overriding the “Deliberative Information” exception. 5. Notwithstanding the above, the AIC additionally considered whether to exercise the World Bank’s prerogative to disclose the requested information based on a determination that the benefit of disclosure outweighs the potential harm. Based on the available information, the AIC did not find compelling grounds to make such a determination. For this reason, the AIC decided not to exercise the World Bank’s prerogative to disclose the requested information. 6. In view of the above considerations, the AIC upholds the decision to deny public access to the requested information. DECISION 1. On May 13, 2013, the World Bank (“Bank”) denied a public access request for “a copy of [the] study done by Mott MacDonald on Cumulative Impacts of Hydropower Projects on Ganga River” (“Request”). The Request was denied on the basis that the requested information is restricted by the “Deliberative Information” exception under the Bank’s Policy on Access to Information (“AI Policy”). On May 19, 2013, the secretariat to the Access to Information Committee (“AIC”) received the attached application (“Application”) appealing the Bank’s decision to deny public access to the requested information. 2. The Application challenges the decision to deny public access on the ground that there is a “public interest” case to override the AI Policy exception that restricts the requested information. The Application asserts that the Government of India’s “plan to harness River Ganga for the production of hydropower by making back-to- back dams on nearly 200 km of its flow in the Himalayas ... is destructive of both environment and culture of the people. Especially the impacts due to (1) damage to spiritual value of the river waters; (2) obstruction of migratory paths of fish[;] and (3) creation of beneficent sediments [which] have not been taken into account by the Government of India.” The appeal further asserts that the study commissioned by the Government of India “on Cumulative Impacts of Hydropower Dams on Ganga” ... is “unscientific and weak” and for this reason the requester wants the Bank “to provide [him/her] with the study by Mott MacDonald so that the people can 42 access to information | The World Bank get an alternative view of the Cumulative Impacts of these projects.” The Application also mentions that the requester has filed a “Request for Inspection of the WB loan to THDC for Vishnugad-Pipalkoti project [sic].” Findings and Decision of the Access to Information Committee 3. The AIC considered the Application on the basis of whether the requester was able to make a public interest case that would justify overriding the “Deliberative Information” exception, which restricts the requested information from public access. In reviewing the Application in accordance with the AI Policy, the AIC considered: (a) the Request; (b) the Application; (c) the nature of the requested information; (d) the “Deliberative Information” exception under the AI Policy that justified the Bank’s initial decision to deny public access; and (e) the information provided by the relevant business units concerning the requested information. The AIC recognized the Application’s indication that the requester had filed a Request for Inspection for the Vishnugad Pipalkoti Hydro Electric Project. In this context, the AIC further recognized that, pursuant to its authority under the AI Policy, the AIC’s review of this case should be conducted in accordance with the terms of the AI Policy, independent of, and without prejudice to, the requestor’s Request for Inspection. “Public Interest” case 4. Pursuant to the AI Policy, a requester may file an appeal on a “public interest” basis if the requester is able to make a public interest case to override certain AI Policy exceptions that restrict the requested information. Public interest appeals are limited to information restricted under the “Corporate Administrative Matters,” “Deliberative Information” and “Financial Information (other than banking and billing information)” exceptions (see paragraph 36 (b) of the AI Policy). The “Deliberative Information” exception restricts from disclosure “[i]nformation . . . prepared for, or exchanged during the course of, its internal deliberations” for the purpose of facilitating and safeguarding the free and candid exchange of ideas and ultimately preserving the integrity of the deliberative processes (paragraph 16 of the AI Policy). 5. The AIC found that the requested document had been commissioned by the Bank for the limited purpose of informing for the Bank’s own internal deliberations and, thus, the information is properly restricted by the “Deliberative Information” exception under the AI Policy (see paragraph 16 (b) of the AI Policy). The AIC considered the relevant business unit’s explanation regarding the limited purpose and scope of the document, as well as the benefits and potential harm related to disclosure, and whether the public interest assertion in the Application merits overriding the “Deliberative Information” exception that restricts the requested information. The AIC did not find adequate information to determine a clearly compelling ground to override the “Deliberative Information” exception. 6. Notwithstanding the AIC’s determination with respect to the public interest appeal, the AIC took the Annual Report FY 2013 43 decision to also consider whether the available facts would support an exercise of the Bank’s prerogative to disclose the restricted information; for information restricted by the “Deliberative Information” exception, the AIC has the authority to exercise this prerogative under the AI Policy (see paragraph 18 (c) of the AI Policy). The AIC took into account the available information before it, including the statements made by the requester in the Application and the views of the relevant business unit, and after weighing these considerations, the AIC decided not to exercise the Bank’s prerogative to disclose the requested information in this case. 7. For the reasons discussed above, the AIC upholds the Bank’s decision to deny public access to the requested information. Under the AI Policy, for appeals that assert a public interest case to override an AI Policy exception, the decision of the AIC is final (see paragraph 37 of the AI Policy). 44 access to information | The World Bank APPENDIX E. Appeals Concluded by the AI Appeals Board in FY 2013 Upheld or Reversed Case No. AI Committee’s decision Applicable Exception(s) Requested Information upholding World Bank Decision to Deny Access 1. AI1362 Information Provided by Turkey Emergency Flood and Earthquake Member Country or Third Party Upheld Recovery Project in Confidence; Deliberative Information 2. AI1473 ISRs for India Mumbai Urban Upheld Deliberative Information Transport Project Annual Report FY 2013 45 APPENDIX F. AI Appeals Board Decisions in FY 2013 The appeals decisions are presented in the order of the case numbers, and in the same form as they were issued to the requesters. Where multiple decisions exist for one case, the decisions are presented in chronological order. Any modification of the original language in the appeals decisions, or provision of explanation, is set forth in brackets. To facilitate public access to the decisions, the World Bank has posted the decisions online on its Access to Information website. Appeal # 1 AI Appeals Board Note of Adjournment Case No. AI1362: Certain information concerning the Turkey Emergency Flood and Earthquake Recovery Project (dated December 13, 2012) [Note: Because this appeal was filed by the requester in Turkish, this Note of Adjournment issued by the AI Appeals Board was translated into, and conveyed to the requester in, Turkish.] On July 23, 2012, the Secretariat to the Access to Information Appeals Board received an application (“Application”) appealing the Bank’s alleged decision to deny access to certain information concerning the Turkey Emergency Flood and Earthquake Recovery Project. The Access to Information Appeals Board (“AI Appeals Board”) convened in December 2012 to review the Application in accordance with the World Bank Policy on Access to Information and issued the following note, dated December 13, 2012: NOTE OF ADJOURNMENT The Access to Information Board has adjourned its consideration of the above appeal. We set out our reasons for doing so below, as there are some not insignificant procedural considerations that arise. BACKGROUND On October 19, 2011 the Bank received a public access request for certain information concerning the Turkey Emergency Flood and Earthquake Recovery (TEFER) Project. On October 20th the Archives Unit provided a link to publicly available information regarding TEFER. There then followed a period of several months in which The World Bank sought to identify and provide information in response to the request, with the Requester making supplementary submissions which, in effect, served to illustrate or specify the nature of the information being sought. In particular the Bank officials in the Turkey Country Management Unit (Turkey CMU) met with the requester at the Bank’s Ankara office and also instigated an extensive review of the project files held in Turkey and the United States to identify information within the scope of the request. Certain further information was provided at that meeting. On May 7, 2012, Mr […], Lead Operations Officer formally replied to the Requester on the Turkey CMUs behalf, indicating which information had been provided and the extent of the search for additional information. 46 access to information | The World Bank This determined that no other information was held, save for two documents which had been provided by the Borrower, both of which were being withheld under the terms of the AI Policy. The Requester’s appealed against this outcome and the appeal was heard by the Access to Information Appeals Committee on June 20 2012, which dismissed the appeal. On July 23 2012, the requester filed an appeal before the AI Appeals Board. The Board convened on December 12, 2012 to consider the appeal. We have had access to all of the correspondence between the Requester and World Bank officials including from the Archives Unit, Turkey CMU and the Secretariat. We also spoke with [the Lead Operations Officer] by video link to clarify and confirm certain matters. ACCESS TO INFORMATION BOARD DELIBERATION In the view of the AI Appeals Board the Requester has appealed against the response to its request given by [the Lead Operations Officer] on May 7 in its entirety. The AIC considered the appeal under both available grounds —‘violation of AI policy’ and ‘public interest’. As indicated above the response raises two related but distinct matters which should be considered in the appeal process. The first is whether the search for information is adequate and the extent to which it has identified information relevant to the request held by the World Bank. In this case, the final response to the requester, including the results of the further research of electronic and archived paper documents in the World Bank’s archives, was protracted (It took more than 6 months from when the first public access request was received on October 19, 2011 to final response on May 7, 2012 from Bank’s Turkey CMU). According to the AI Policy (para. 25), the World Bank endeavors to provide a comprehensive response to public access requests within 20 working days, recognizing that additional time may be needed for special circumstances, such as complex requests or requests that require consultation with internal or external parties. The World Bank Access to Information Annual report FY 2011 shows that 78 percent of the cases received comprehensive responses within 20 working days. The cases that required additional time to complete involved circumstances such as: requests revised by the requesters; complex and voluminous requests; requests that required extensive review, translations or consultations with internal and external parties; and cases held open until the requester could review the documents in person. The AI Appeals Board’s view is that the delay was due to a process of engaging with the requesters to better understand the information being sought and the nature of the search which was required to seek to satisfy the requests. In the course of exchanges with the Requester it became clearer that the information sought was about investments broken down by specific location and in particular the Bartin Municipality. The World Bank, and the Turkey CMU in particular, made an extensive and purposeful search for information specifically sought by the Requester. Annual Report FY 2013 47 By their appeal it can be said that the Requester is challenging the World Bank’s assertion that it does not hold more information relevant to the request, and thereby that the World Bank is improperly with-holding information which it would normally disclose. This aspect of the response and, by extension, of the appeal, was addressed by the AIC. The second issue to be addressed concerns two reports provided by the Borrower which were found to “contain some limited information on investments in the municipalities, but there is no comprehensive breakdown of the investment financed under the Project by location.” In the letter of May 7 the Turkey CMU concluded these documents are considered to be “deliberative and are therefore restricted from disclosure and the World Bank cannot release them unless the Borrower gives its written consent to disclose.” The AI Appeals Board has not seen the documents but we confirmed with [the Lead Operations Officer] that the two reports did fall within the scope of the request by the requester, notwithstanding the view that he held, namely that they would not “provide the answer” [to the requester]. We are satisfied that the appeal against the May 7 refusal constituted an appeal of the whole of the refusal, encompassing, therefore, the refusal to provide access to the two reports. However, although the AIC’s written decision disposing of the appeal recorded the fact of the existence of the two reports in almost identical terms to the refusal letter, the AIC did not address this in its decision or in its findings. Instead, the AIC held that the appeal should be dismissed not only because it failed to provide sufficient information which would reasonably support the appeal, but also because it did not fall within the AIC’s review authority, since the subsequent request does not concern information in the World Bank’s possession. AI APPEALS BOARD FINDINGS We conclude, for the reasons set out earlier and in respect of anything other than the two reports, the World Bank made all reasonable efforts to locate any records of relevance to the requester, and none could be found. In that respect, we are inclined to uphold the decision of the AIC and dismiss the appeal. However, the view of the AI Appeals Board is that the AIC should have addressed the issue of the two reports, since they properly fell within the scope of the Requester’s request, and since the Requester had been expressly refused access to the two reports pursuant to the provisions of the ATI policy in the refusal letter of 7 May, and because the appeal of May 9 by the requester was expressly treated by the AIC as an appeal against the whole of the refusal and on both possible grounds of appeal, namely a violation of the AI Policy and “public interest”. The Turkey CMU made a discerning search for information relevant to the particular request and concluded that the two reports were within the scope of the information being sought. The question of whether or not they “provide the answer” to the requester is not germane. Rather, the question is whether, being held, they should be disclosed under the AI Policy or whether one of its provisions exempts the records from disclosure. The AIC did not appear to ask itself this question. It would be inappropriate for the AI Appeals Board to do so in its stead, not least because the AIC has a wider jurisdiction. (Since the requester was in effect asserting a general public interest in knowing more details of the projects because of on-going concerns about the implementation, this is of great relevance to the current 48 access to information | The World Bank case, since the AIC has the authority to consider whether the public interest in disclosure should over-ride the exemption, whereas the AI Appeals Board does not.) In our view, the sensible and reasonable thing to do would be to remit the matter back to the AIC, thereby inviting it to address the question. But it is unclear whether we have authority to do so, since both the AI Policy and its Operating Procedures are silent on the point. We submit that a purposive interpretation of that silence would conclude that since the purpose of the AI Policy is in general to assist a broad range of the World Bank’s stakeholders to access information about the Bank’s operations and to help the Bank respond to that legitimate interest, it would not be unreasonable to infer an authority to remit a case back to the AIC, with reasoning from the AI Appeals Board. In the absence of such authority the AI Appeals Board would be unable to address or remedy procedural flaws or omissions, the consequence of which could be significant if the only options available to the AI Appeals Board were to uphold or reverse decisions of the AI Committee. Accordingly, we have decided to adjourn the case to permit the AIC to consider these matters. If the AIC is inclined to accept our view that cases can be remitted back to address procedural failings or omission, then we invite the AIC to address the appeal regarding the two reports and the basis on which disclosure was refused by the Turkish CMU. (If the AIC finds this course of action acceptable then it would be helpful for the Operating Procedures to provide an express authority to remit, on such terms.) If the AIC is not inclined to deal with the case as remitted then we will re-convene to reach a decision either to uphold the decision of the AIC, or else to reverse it and order release of the two reports. AIC Supplemental Decision on Appeal #19 CASE NUMBER AI1362: TURKEY EMERGENCY FLOOD AND EARTHQUAKE RECOVERY PROJECT (dated January 28, 2013) [Note: This decision of the AIC is reflected in this Appendix “AI Appeals Board Decisions in FY 2013” because it responds to the matter set forth in the AI Appeals Board’s Note of Adjournment provided immediately above. Because the appeal was filed by the requester in Turkish, this AIC Supplemental Decision on Appeal was translated into, and conveyed to the requester in, Turkish.] Summary of supplemental DeCISION • Following the decision of the Access to Information Committee (“AIC”) on appeal, the requester filed a subsequent appeal before the Access to Information Appeals Board (“AI Appeals Board”). • In considering the appeal, the AI Appeals Board found that the Bank possesses two documents that fall within the scope of the request, i.e., a Progress Report and a Completion Report, and that the AIC’s findings and decision on appeal did not address those two documents’ disclosability. In view of such findings, the AI Appeals Board decided to adjourn and requested the AIC to consider whether the Progress Report and the Completion Report should be disclosed or are restricted by one or more exception under the AI Policy. • Under the AI Policy, the Bank does not provide access to documents that contain or refer to information that is on a list of exceptions. Annual Report FY 2013 49 • In considering the issue posed by the AI Appeals Board in accordance with the AI Policy, the AIC concluded that: (a) the Progress Report is restricted by both the “Information Provided by Member Countries or Third Parties in Confidence” and the “Deliberative Information” exceptions under the AI Policy; and (b) the Completion Report is restricted by the “Deliberative Information” exception under the AI Policy. • In the absence of an indication by the requester of under which ground(s) he/she wished to appeal before the AIC, the AIC considered the issue posed by the AI Appeals Board on both grounds, i.e., “violation of the AI Policy” and “public interest”. • With respect to the “violation of the AI Policy” ground, the AIC concluded that the Bank’s decision to deny access to these two documents on the basis of the “Deliberative Information” exception under the AI Policy did not violate the AI Policy. For this reason, the AIC upholds the Bank’s decision to deny public access to the Progress Report and the Completion Report. • With respect to the “public interest” ground, the AIC: (a) found that because the Progress Report is also restricted by the “Information provided by Member Countries or Third Parties in Confidence”, this portion of the appeal is not properly before the AIC and, thus, is dismissed; and (b) found no compelling public interest reasons to override the “Deliberative Information” exception of the AI Policy restricting the Completion Report and, thus, the AIC upholds the Bank’s decision to deny public access to the Completion Report. supplemental DeCISION 1. On July 20, 2012, the AIC’s decision to dismiss the appeal under Case No. AI1362-A was transmitted to the requester. 2. On July 23, 2012, the requester filed a subsequent appeal before the AI Appeals Board. 3. On December 12, 2012, the AI Appeals Board convened to consider the appeal under Case No. AI1362-A. In considering the appeal, the AI Appeals Board found that the Bank possesses two documents that fall within the scope of the request, i.e., (a) the Progress Report No. 20 prepared by the Project’s Implementation Unit (“Progress Report”), and (b) the Completion Report of Project Component B, dated November 2003, prepared by consultants Posch & Partners (“Completion Report”). The AI Appeals Board found that the AIC’s findings and decision on appeal were silent with respect to the disclosability of the Progress Report and the Completion Report. In view of such findings, the AI Appeals Board decided to adjourn and requested that an issue be posed back to the AIC for consideration, i.e., whether the Progress Report and the Completion Report should be disclosed or are restricted by one or more exception under the World Bank’s Access to Information Policy (“AI Policy”). Findings and Supplemental Decision of the Access to Information Committee 4. The AIC considered the issued posed by the AI Appeals Board on both grounds for appeal. In reviewing the issue in accordance with the AI Policy, the AIC considered: 50 access to information | The World Bank (a) its original decision on the appeal; (b) the AI Appeals Board note of adjournment, which sets out the issue posed to the AIC for consideration; (c) the additional information provided by the Turkey Country Management Unit (“CMU”) regarding the Progress Report and the Completion Report, including the views of the Government of Turkey (“GoT”) on the documents’ possible disclosure; (d) the nature of the Progress Report; and (e) the Completion Report. “Violation of the AI Policy” 5. Pursuant to the AI Policy, a requester who is denied access to information by the Bank may file an appeal if the requester is able to establish a prima facie case that the Bank has violated the AI Policy by improperly or unreasonably restricting access to information that it would normally disclose under the AI Policy; only appeals alleging such violation of the AI Policy are considered by the AI Appeals Board (see paragraphs 36 (a) and 38 of the AI Policy). The AI Policy states that the Bank “does not provide access to documents that contain or refer to information listed in paragraphs 8-17” of the AI Policy, which set out the AI Policy’s list of exceptions that restrict access. 6. With respect to the Progress Report, the AIC recognized that it is owned by the Borrower and found that it is restricted by both the “Information provided by Member Countries or Third Parties in Confidence” and the “Deliberative Information” exceptions under the AI Policy (see paragraphs 14 and 16 (a) of the AI Policy). The AIC based its finding that the Progress Report is restricted by both AI Policy exceptions mentioned above both on the GoT’s views conveyed to the Bank through the CMU and the AI Policy’s paragraph 16, footnote 11, which provides, in relevant part, that: [i]f a member country or a third party has not classified the information given to the Bank and, to the Bank’s knowledge, the member country or third party concerned has not made the information public, then such information is considered to be deliberative under paragraph 16 of this policy statement …. If the Bank believes that such information was given by the member country or third party (explicitly or implicitly) in confidence, the information is classified accordingly and restricted from disclosure pursuant to paragraph 14 of this policy statement. 7. Furthermore, paragraph 14 of the AI Policy states, under the “Information Provided by Member Countries or Third Parties in Confidence” exception, that the Bank “has an obligation to protect information that it receives in confidence. Thus the Bank does not provide access to information provided to it by a member country or a third party on the understanding of confidentiality, without express permission of that member country or third party.” The AIC found that the CMU has sought the Borrower’s consent to disclose the Progress Report, and that the Borrower has not consented to disclose the Progress Report. While the AIC found that the Bank did not assert that the “Information Provided by Member Countries or Third Parties” exception also restricted the Progress Report, the omission was harmless, as the Progress Report is covered by, and therefore would remain restricted under, the “Deliberative Information” exception under the AI Policy. Annual Report FY 2013 51 8. With respect to the Completion Report, which is owned by the Bank, the AIC concluded that it is restricted by the “Deliberative Information” exception under the AI Policy. The AIC also recognized that the harm of disclosure could justify the exercise of the Bank’s prerogative to restrict the Completion Report should it be considered eligible for disclosure. 9. Based on the above findings, and in response to the AI Appeals Board inquiry on whether the documents in question should be disclosed or are restricted by one or more exception under the AI Policy, the AIC concluded that (a) the Progress Report is restricted by both the “Information Provided by Member Countries or Third Parties in Confidence” and the “Deliberative Information” exceptions under the AI Policy, and (b) the Completion Report is restricted by the “Deliberative Information” exception under the AI Policy. Thus, the Bank’s decision to deny access to these two documents on the basis that they are restricted by the “Deliberative Information” exception under the AI Policy did not violate the AI Policy. For this reason, the AIC upholds the Bank’s decision to deny public access to the Progress Report and the Completion Report. “Public Interest” 10. Pursuant to the AI Policy, a requester may file an appeal on a “public interest” basis if the requester is able to make a public interest case to override certain AI Policy exceptions that restrict the information requested. Public interest appeals are limited to information restricted under the “Corporate Administrative Matters,” “Deliberative Information,” and “Financial Information” (other than banking and billing information) exceptions (see paragraph 36 (b) of the AI Policy). 11. With respect to the Progress Report, based on the above findings, it is restricted by both the “Information provided by Member Countries or Third Parties in Confidence” and the “Deliberative Information” exceptions under the AI Policy (see paragraph 6 above). As the AI Policy explains, the Bank “has an obligation to protect information that it receives in confidence. Thus the Bank does not provide access to information provided to it by a member country or a third party on the understanding of confidentiality, without express permission of that member country or third party” (see paragraph 7 above). In view of this requirement, the AI Policy does not allow the restriction of information pursuant to the “Information provided by Member Countries or Third Parties in Confidence” exception to be appealed on public interest grounds (see AI Policy at paragraph 36(b)). This portion of the appeal is, therefore, not properly before the AIC. 12. With respect to the Completion Report, restricted by the “Deliberative Information” exception under the AI Policy, the AIC did not find compelling public interest reasons to override the “Deliberative Information” exception of the AI Policy. 13. For these reasons, the AIC decided: (a) to dismiss the public interest portion of the appeal concerning the Progress Report, given that said portion of the appeal involves a matter that the AIC does not have authority to consider; and (b) to uphold the Bank’s decision to deny public access to the Completion Report. 14. Under the AI Policy, the decision of the AIC is final for appeals that assert a public interest case to override an AI Policy exception (see paragraph 37 of the AI Policy). 52 access to information | The World Bank AI Appeals Board Decision Case No. AI1362: Certain information concerning the Turkey Emergency Flood and Earthquake Recovery Project (dated February 15, 2013) [Note: Because this appeal was filed in Turkish; this Decision issued by the AI Appeals Board was translated into, and conveyed to the requester in, Turkish.] On July 23, 2012, the Secretariat to the Access to Information Appeals Board received an application (“Application”) appealing the Bank’s alleged decision to deny access to certain information concerning the Turkey Emergency Flood and Earthquake Recovery Project. The Access to Information Appeals Board (“AI Appeals Board”) reviewed the Application in accordance with the World Bank Policy on Access to Information and issued the following decision, dated February 15, 2013: DeCISION OF THE AI APPEALS BOARD 1. The AI Appeals Board affirms the full decision of the AI Committee. The reasons for our decision are set out below. Background 2. On October 19, 2011 the World Bank received a public access request for certain information concerning the Turkey Emergency Flood and Earthquake Recovery (TEFER) Project. On October 20th the Archives Unit provided a link to publicly available information regarding TEFER. 3. There then followed a period of several months in which The World Bank sought to identify and provide information in response to the request, with the Requester making supplementary submissions which, in effect, served to illustrate or specify the nature of the information being sought. In particular the Bank officials in the Turkey Country Management Unit (Turkey CMU) met with the requester at the Bank’s Ankara office and also instigated an extensive review of the project files held in Turkey and the United States to identify information within the scope of the request. Certain further information was provided to the Requester. 4. On May 7 the Bank’s Lead Operations Officer formally replied to the Requester on the Turkey CMUs behalf, indicating which information had been provided and the extent of the search for additional information. This determined that no other information was held, save for two documents, both of which were being withheld under the terms of the Access to Information (AI) Policy. 5. The Requester’s appealed against this outcome and the appeal was heard by the Access to Information Appeals Committee on June 20 2012. In the absence of an indication by the requester of the ground(s) of the appeal the AIC considered the appeal on both grounds i.e. violation of the AI policy and/or public interest. 6. The AIC found that the Bank had conducted an extensive search of the records in its possession and did not locate information directly responsive to the requests for information made subsequent to the initial request. The AIC therefore dismissed the application for appeal on the basis that as it did not involve information held in the Banks possession the Bank’s response did not constitute a denial to information held by it. 7. On July 23, 2012, the requester filed an appeal before the AI Appeals Board. Annual Report FY 2013 53 Admission of the application for appeal 8. The AI Appeals Board first considered this application on December 13, 2012. Following an adjournment, during which time the AIC issued a supplemental decision, the AI Appeals Board concluded its deliberations and came to a decision on 15 February. 9. The Board admitted the application for appeal on the following grounds: - The application was filed before the AIC and the AI Appeals Board within 60 days and therefore was within time. - Although the grounds for appeal were stated in the most general terms, the basis for dissatisfaction was clear from the file on this case which contains sufficient information to reasonably support the appeal, providing at least a prima facie case that the World Bank has in some respect violated the Policy by improperly or unreasonably restricting access to information that it would normally disclose under the policy. - The AI Appeals Board has authority to consider an appeal if it follows an AIC decision to uphold a World Bank decision to deny access on the basis that the denial did not violate the Policy. In this case, on 20 June 2012, the AIC initially dismissed the application on the basis that the information sought was not in the Banks possession. Subsequently the AIC issued a supplemental decision in January 2013 in which it determined that two documents, which the AI [Appeals] Board had remitted to it for specific consideration, had been denied without violation of the AI Policy. AI APPEALS BOARD DELIBERATIONS 10. In coming to its decision, the AI Appeals Board has had access to all of the correspondence between the Requester and World Bank officials including from the Archives Unit, Turkey CMU and the Secretariat. Members of the Board also spoke with the Lead Operations Officer in the Turkey CMU by video link to clarify and confirm certain matters. 11. In the view of the AI Appeals Board the substantive response given by the Turkey CMU on behalf of the Bank on May 7 raises two related but distinct matters which should be considered in the appeal process. The first is whether the search for information was adequate and the extent to which it has identified information relevant to the request held by the World Bank. The second is, if any such information has been identified, whether it has been denied in violation of the AI Policy. 12. Concerning the adequacy of the search for relevant information it is apparent that in the course of exchanges between the Turkey CMU and the Requester more specific supplementary information requests were made. In particular information was sought on investments broken down by specific location and especially for the Bartin Municipality. A major part of the reason why it took more than 6 months from when the first public access request was received on October 19, 2011 to a final response on May 7, 2012 from the Bank’s Turkey CMU was because of the efforts made to search for any information relevant to these requests held in electronic format and archived paper documents in Turkey and in the archives in the United States. 13. By their appeal it can be said that the Requester is challenging the Banks assertion that it does not hold more information relevant to the request, and thereby the Bank is denying access to information which it would normally disclose. 54 access to information | The World Bank 14. The Board’s view is that the Bank and the Turkey CMU in particular, made an extensive and purposeful search for information specifically sought by the Requester. Where information relevant request was found it was provided to the Requester (with the exception of two documents dealt with below.) 15. The withheld information referred to in paragraph 14 was in two documents, a Progress Report and a Completion Report, contained some limited information on investments in the municipalities, but no comprehensive breakdown of the investment financed under the Project by location. In the response to the Requester dated 7 May 2012, the Turkey CMU concluded these documents are “deliberative and are therefore restricted from disclosure and the World Bank cannot release them unless the Borrower gives its written consent to disclose.” 16. The AIC appears, in giving consideration to the application for appeal, not to have specifically addressed the basis on which access to these two documents was denied and whether this constituted a violation of the AI Policy. Had it done so it should also have considered whether the documents were capable of being disclosed in the public interest. 17. The AI Board therefore remitted the case back to the AIC with a request that it address this omission by considering whether or not these two documents had been properly withheld and, if so, whether they could be disclosed on the grounds of public interest. 18. The AIC did so in January 2013 and issued a supplemental decision in which it found that the information had not been withheld in violation of the Bank’s policy as the following exceptions applied: (a) the Progress Report was provided by the Borrower in confidence and is restricted by both the “Information Provided by Member Countries or Third Parties in Confidence” (AI Policy paragraph 14) and the “Deliberative Information” (AI policy paragraph 16) exceptions under the AI Policy; and (b) (b) the Completion Report is restricted by the “Deliberative Information” exception under the AI Policy. 19. The Board notes the confirmation that the Progress Report was provided to the Bank by the Government of Turkey, which has explicitly withheld consent to its disclosure. 20. The AIC then considered whether there were grounds to override these exceptions which would permit disclosure in the public interest. 21. On the basis that the Bank’s policy (AI Policy at paragraph 36(b)) does not permit information which is restricted by the exception for “Information Provided by Member Countries or Third Parties in Confidence” to be overridden on public interest grounds, the AIC found that there were no public interest grounds for appeal against the withholding of the Progress report. 22. With respect to the Completion Report, restricted by the “Deliberative Information” exception under the AI Policy, the AIC did not find compelling public interest reasons to override the “Deliberative Information” exception of the AI Policy. 23. It should be noted that under the Bank[’]s Policy the final determination as to whether the discretion to disclose information in the public interest should be used in any case is a matter for the AIC. Refusal to make Annual Report FY 2013 55 such disclosure is not a ground for appeal to the AI Appeals Board which “does not consider appeals concerning requests to override the Policy’s exceptions.” (see AI Policy at paragraph 38) AI APPEALS BOARD FINDINGS 24. The AI Appeals Board concludes that there is no basis to find that the Bank has failed to recover and disclose other relevant information in its possession. Consequently there has been no violation of the AI Policy in this regard. 25. The AI Appeals Board finds the exceptions identified by the AIC did apply to the Progress Report and the Completion Report, and accordingly must find that the Bank has not violated its Policy and uphold the AIC’s decision. 26. The AI Appeals Board’s decision is final. Appeal #2 AI Appeals Board Decision Case No. AI1473 Implementation Status and Results Reports of the India: Mumbai Urban Transport Project prepared between 2005 and 2010 (dated December 13, 2012) On July 23, 2012, the Secretariat to the Access to Information Appeals Board received an application (“Application”) appealing the Bank’s alleged decision to deny access to certain information concerning the Turkey Emergency Flood and Earthquake Recovery Project. The Access to Information Appeals Board (“AI Appeals Board”) convened in December 2012 to review the Application in accordance with the World Bank Policy on Access to Information and issued the following note, dated December 13, 2012: Decision of the ai appeals board 1. The AI Appeals Board affirms the decision of the AI Committee in its entirety. The reasons for our decision are set out below. BACKGROUND 2. On November 29, 2011, the Bank received a public access request for all (English) Implementation Status and Results Reports of the India: Mumbai Urban Transport Project (ID P050668) prepared between 2005 and 2010 (“the project”). 3. Implementation Status and Results Reports (ISRs) are, as their name suggests, important documents within the Bank’s general project operating procedures, as they contain information and analysis relating to the progress of a particular project. 4. Shortly after the request for information was received, the Archives Unit approached the relevant business unit to assist in locating any documents that would fall within the scope of the request and eleven ISRs for the period sought (2005-10) were duly identified. 56 access to information | The World Bank 5. The eleven ISRs were then filed as covered by the “Deliberative Information” exemption contained within paragraph 16 of the Bank’s Policy on Access to Information (AI Policy). 6. The acting country director was invited to comment on whether this exemption, or any other, was applicable. It was acknowledged that the requested ISRs pertained to a closed project and could therefore be subject to the Bank’s prerogative to release documents covered by the deliberative information exemption where the benefits of such disclosure outweighed the potential harm that would be caused (paragraph 18 of the AI Policy). However, the acting country director’s view was that given “the deliberative and sensitive nature of these documents prepared for the Bank’s internal use, we would recommend declassifying these ISRs only after the due date of 20 years”. 7. On February 22, 2012, the Access to Information Committee (AIC) considered the question of whether the prerogative should be applied and concluded that it should not. The requester was informed that the request for information had been denied. 8. On March 21, 2012, the requester challenged the decision on the basis that the ISRs “are not covered by the Deliberative Information section” and that, therefore, the denial was a violation of the AI Policy. 9. On April 18, 2012, the AIC considered the appeal and found that the ISRs were prepared to facilitate the Bank’s own internal deliberations during the implementation of the project and were, therefore, covered by the Deliberative Information exemption. On that basis the AIC found that the Bank’s decision to deny access on that basis did not violate the AI Policy and the Banks decision to deny public access to the ISRs was upheld. This decision was transmitted to the requester on May 24, 2012. 10. On July 23, 2012, the requester filed an application for appeal to the AI Appeals Board, which sat on December 13, 2012, to consider it. ADMISSION OF THE APPEAL 11. The AI Appeals Board admitted the application for appeal on the following grounds: - In Time: the application was filed before the AIC and the AI Appeals Board within 60 days. (For the avoidance of doubt the AI Appeals Board regards an application made on the 60th calendar day, taken from the day after notification of AIC decision, as being timely.) - A prima facie case that the World Bank has violated the Policy by improperly or unreasonably restricting access to information that it would normally disclose under the policy has been established. - Authority: The AI Appeals Board has authority to consider the appeal as it follows an AIC decision to uphold a World Bank decision to deny access on the basis that the denial did not violate the Policy. ALL BOARD DELIBERATIONS 12. The stated purpose of the Deliberative Information exemption set out in Paragraph 16 of the AI Policy is to permit the Bank “space to consider and debate issues away from public scrutiny”, and “to preserve the integrity of its deliberative processes by facilitating and safeguarding the free and candid exchange of ideas.” The Policy states that as a result the Bank “does not provide access to information prepared for, or exchanged during the course of its own internal deliberations.” Annual Report FY 2013 57 13. Furthermore, the AI Committee, which has the authority (under paragraph 35 of the Policy) to interpret the Bank’s Policy in line with its guiding principles, has made it clear that “the term ‘Deliberative Information’ under the AI policy is applied broadly to include any internal communications and communications with external parties.” (AI Policy Interpretation issued on March 13, 2011) 14. Consequently the AI Appeals Board must determine whether the ISRs constitute “Deliberative Information” in coming to a view whether the Bank has violated its Policy on access to information. 15. These ISRs concerned a project which had been subject to major project restructuring, an Inspection Panel review, the suspension of funds at one time, and repeated extensions. We have had access to the content of ISRs. They comprise of information which may be regarded as factual or objective evaluations, and other information which may be regarded as more subjective such as expressing a candid opinion or offering a view on options. 16. Taken as a whole we accept that the ISRs in question constitute Deliberative Information that falls within the wide ambit of paragraph 16 of the Policy. 17. We note that the Bank has decided that in the case of ISRs prepared after the coming into effect of the AI Policy in 2010, such future documents will distinguish between deliberative and non-deliberative information, contained within them, in a way that the ISRs that are the subject of the current case did not. 18. In that respect these eleven ISRs may contain information of a type which, in equivalent documents drawn up post—2010 could be capable of being separated between deliberative and non-deliberative information. However, as constituted they are undifferentiated and under the AI Policy and its Interpretation by the AIC, remain to be regarded as Deliberative Information. ALL APPEALS BOARD FINDINGS 19. Accordingly, we must find that the Bank has not violated its Policy and so uphold the AIC’s decision. The AI Appeals Board’s decision is final. 58 access to information | The World Bank APPENDIX G. Access to Information Committee The Access to Information Committee (AI Committee) was established pursuant to the AI Policy. The AI Committee serves as the internal body that: (a) broadly oversees the AI Policy implementation; (b) is authorized to interpret the AI Policy; (c) makes decisions concerning whether to exercise the World Bank’s prerogative to disclose certain information that is on the list of AI Policy exceptions (i.e., restricted information); and (d) considers appeals filed against the World Bank’s decisions to deny access to information. The AI Committee is supported in its work by a secretariat (see Appendix I). The AI Committee consists of seven principal members and their alternates, representing the Operations Policy and Country Services Vice Presidency (OPCS), External and Corporate Relations Vice Presidency (ECR), Legal Vice Presidency (LEG), Corporate Secretary Vice Presidency (SEC), General Services Department (GSD), Information Technology and Solutions Vice Presidency (ITS) and one region. In FY 2013, the regional representation was held by the Europe and Central Asia Regional Vice Presidency (ECA). Members Paul Bermingham AI Committee Chair, July 2010 – June 2013 Director Operational Risk Management OPCS Gerard Byam Principal member, July 2012 – February 2013 Director, Operational Services and Quality, ECA Hassane Cisse Principal member, since July 2010 Deputy General Counsel, Knowledge and Research, LEG Bryan Cook Principal member, since September 2012 Division Manager, Corporate Procurement, GSD Annual Report FY 2013 59 Members Sumir Lal Principal member, since July 2011 Manager, Alternate member, July 2010 – June 2011 Operational Communications, ECR Elisa Liberatori-Prati Principal member, since July 2010 Chief Archivist, Knowledge and Information Services, ITS Elisabetta Marmolo Principal member, since May 2012 Manager, Alternate member, July 2010 – April 2012 Corporate Affairs and Administration, SEC Laura Tuck Principal member, February – June 2013 Director, Strategy and Operations, ECA Vivek Chaudhry Alternate member, since May 2012 Division Manager, Strategy and Finance, GSD Barbara Geiser Alternate member, since May 2012 Senior Operations Officer, Policy and Operations, SEC 60 access to information | The World Bank Members Andrew Kircher Alternate member, July 2012 – June 2013 Communications Advisor, Office of External Affairs, ECA Barbara Lee Alternate member, February 2011 – February Manager, 2013 Office of the Vice President, OPCS Edward Strudwicke Alternate member, since July 2010 Information Officer, Knowledge and Information Services, ITS Anthony Toft Alternate member, since November 2011 Deputy General Counsel, Operations, LEG Jill Wilkins Alternate member, since December 2011 Manager, Global Engagement, ECR Annual Report FY 2013 61 Appendix H. Access to Information Appeals Board As part of the AI Policy, the World Bank established a three-member, impartial Access to Information Appeals Board (AI Appeals Board). The AI Appeals Board serves as the body that considers second level appeals that allege the World Bank has unreasonably or improperly denied access to information that it would normally disclose under the AI Policy. The AI Appeals Board is supported in its work by a secretariat within the World Bank (see Appendix I). The AI Appeals Board consists of three outside experts selected by the World Bank President and endorsed by the World Bank’s Executive Directors. The AI Appeals Board members began their two-year appointments in October 2012. Members Richard Calland Mr. Calland is an Associate Professor of Public Law, and the Director of Democratic Governance and Rights Unit, Faculty of Law, at the University of Cape Town. Kevin Harry Dunion Mr. Dunion is the Director of the Centre for Freedom of Information, at the University of Dundee, School of Law. Ramojus Kraujelis Mr. Kraujelis is the Chief Archivist of Lithuania. 62 access to information | The World Bank Appendix I. Information Policy, Operations Policy Practice Group, Legal Vice Presidency With the effectiveness of the AI Policy, the Information Policy team was created in LEG to serve as the anchor for the AI Policy. The Information Policy team, which is part of the Operational Policy Practice Group, LEG, also advises staff on all AI Policy related matters, and is responsible for monitoring and reporting on World Bank-wide implementation of the AI Policy. It also serves as the secretariat to the AI Committee and the AI Appeals Board. Staff Lisa Lui Lead Counsel Maria Dakolias Lead Counsel Patricia Miranda Senior Counsel Davinia Levy Molner Legal Intern Karen Jones Senior Program Assistant Annual Report FY 2013 63 1818 H St. NW Washington, DC 20433, USA