xxxxxxxxxxxxxxxx; SHAHLA POURGHOLAM
Document Type:
Collection:
Document Number (FOIA) /ESDN (CREST):
0001164087
Release Decision:
RIPPUB
Original Classification:
U
Document Page Count:
2
Document Creation Date:
June 23, 2015
Document Release Date:
February 4, 2010
Sequence Number:
Case Number:
F-2010-00427
Publication Date:
January 3, 2005
File:
Attachment | Size |
---|---|
DOC_0001164087.pdf | 73.38 KB |
Body:
.? =-~~ ~ ~
Elarbee, Thompson, Sapp Z^~ Wilson, LLP
600 INTERNA'I-IONAL TOWER 229 PEACHTREE STREET, N.E. ATLANTA, GEORGIA 30303
TELEPHONE; 404-659-6700 . FAX: 404-222-9718 www.etsw_COm
January 03, 2005
VIA FACSIMILE-703-613-3007
Information and Privacy Coordinato:l-
Central Intelligence Agency
Washington, DC 20505
(b) (3)
(b) (6)
APPROVED FOR
RELEASE^DATE:
03-Feb-2010
Re: Shahla Pourgholam v. Advanced Telemarketing Corporation d/b/a Aegis
Communications Group, Inc?
Civil Action No. 3-O1-~CV-2764X {N.D. Tex.}
Dear Coordinator:
Under the Freedom of Inform~:ition Act, 5 U.S.C. subjection 552, I am requesting that
the Central Intelligence Agency tender certified copies to me of all documents ertaining to
charges filed by Ms. Shahla Pourgho l.am, Social Security Number date of birth
03/03/65, against the Central In'Itelligence Agency, any of its employees, Aegis
Commuriieations, Inc., or any othe~;r individual or entity. Please be advised that the
undersigned agrees to reimburse youir office for the reasonalile costs incurred in copying the
following items:
1. Any and all charges and coz'nplaints and/or amendments thereto filed by Shahla
Pourgholam against the Centz?al Intelligence Agency, or any of its employees;
2. Any and all charges and coz'nplaints and/or amendments thereto filed by Shahla
Pourgholam against Aegis Communications, Inc.;
3. Any and all charges and coxnplaints and/or amendments thereto filed by Shahla
Pourgholam against an indivi~l3ua1 or entity;
AFFILIATE OF WORKLAW NETWORK: THE NATIONII~I'IDE NETWORK OF MANAGEMENT LABOR AND EMPLOYMENT LAW FIRMS
I
C~oo2
4. Any and all signed and unsigned statements in the possession, custody or control of
the Central InteIligcnce Agency or any of its agents, >'cpresentatives or officers made
by Shahla Pourgholam; and
5. Any and all documents, memoranda, reports, records and writings, in whatever form,
in the possession, custody or control of the Central Intelligence Agency or any of its
agents, representatives or officers which were obtained by or utilized by the Central
Intelligence Agency in the investigation or processing of charges filed by Shahla
Pourgholam.
If any or all parts of these request, are denied, it is reque~ted that you refer to the specific
statutory exemption upon which thc~ Central Intelligence 1~gency has relied to justify its
refusal to release the foregoing items of information. In addition, I would request that with
regard to any materials deemed protected by the "deliberative process privilege," if any, the
privileged materials be redacted and the factual information contained therein produced.
Thank you for your assistance wish this matter. Please cal] me if you have any questions
at (404) 659-6700.
Sincerely,
Paralegal
cc: Alisa L. Pittman, Esq.
William A. Pinto, Jr., Esq.