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January 29, 2003; Minnesota Board of Accountancy
1/29/2003 10:14:43 AM
This is an opinion of the Commissioner of Administration issued pursuant to section 13.072 of Minnesota Statutes, Chapter 13 - the Minnesota Government Data Practices Act. It is based on the facts and information available to the Commissioner as described below.
Facts and Procedural History:On January 14, 2003, IPAD received a letter dated January 13. 2003, from Michele Owen, Assistant Minnesota Attorney General, on behalf of the Minnesota Board of Accountancy. In her letter, Ms. Owen asked the Commissioner to issue an advisory opinion regarding the classification of certain data that the Board maintains. A summary of the facts is as follows. In her opinion request, Ms. Owen wrote: During the past few months, the Complaint Committee of the Board conducted an investigation of a written complaint alleging that an accounting firm, which is organized as a limited liability corporation, mishandled an engagement. The Complaint Committee dismissed the complaint because it could not find any specific violations of the statutes and rules the Board is authorized to enforce. The Complaint Committee notified the firm of its findings in an October 2002 letter. The information collected by the Board during its investigation of the complaint indicates that the firm may have violated a separate provision of Minnesota law by engaging in the practice of public accounting before the firm became licensed by the Board, as required by Minn. Stat. section 326A.05 (2002). Either the executive secretary or a member of the Complaint Committee would like to initiate a new complaint against the firm for unlicensed practice, pursuant to Minn. Stat. section 214.10, subd. 2 (2002). However, the Board is unsure whether its Complaint Committee can utilize the data collected in its investigation of the dismissed complaint as a basis for initiating a different complaint against the same firm.... Issue:In her request for an opinion, Ms. Owen asked the Commissioner to address the following issue:
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Civil investigative data
Licensing data
Chief attorney has substantial discretion to determine
Only regulates data on individuals
Licensing data (13.41)