PAC Finds OMA Violation Where Public Could Not View Meeting Notice From Outside Building
As we have said before, the PAC issues some of its more interesting opinions in a non-binding, advisory form - those opinions often provide public bodies with guidance on the day-to-day issues they confront in complying with FOIA and OMA. Thanks to a Municipal Minute reader, we are reporting on one of those opinions today.
In a recent advisory opinion, the PAC determined that a committee of a public body did not violate the OMA when it failed to post a meeting notice on the public body's website but that the committee did violate OMA when it failed to ensure that its posted meeting notice was "continuously available" for 48 hours in advance of the committee meeting. 2023 PAC 75604
The PAC acknowledged that the OMA only requires the "governing body" of the public body to post meeting notices on its website, and the website posting requirement does not extend to meeting notices of subsidiary bodies of the public body, such as committees (see section 2.02(b) of the OMA, emphasis added):
In addition, a public body that has a website that the full-time staff of the public body maintains shall post notice on its website of all meetings of the governing body of the public body.
However, the PAC found that the committee's posted meeting notice did not meet the OMA requirements. Although the notice was posted at least 48 hours in advance on a scrolling screen in the main hallway of the public body's building, that building was not open to the public the entire 48 hour period, so the notice was not continuously available to the public in violation of the OMA. Interestingly, the PAC also questioned whether a "scrolling" screen would satisfy the OMA's "continuously available" requirement since the meeting notice would not be viewable at all times while the screen scrolled through other electronic materials, although the PAC did not decide the request for review on that issue and instead encouraged the public body to post a paper copy of its meeting notices in a location where the public can view the notice from the outside of the building at any time during the 48 hours prior to a meeting.
This is a good reminder to make sure that a public body's meeting notices can be viewed by the public from outside the building if that building is closed at any time during the 48 hour period prior to a meeting. Also, although the website posting requirement for meeting notices only applies to "governing bodies," it's good practice to post the meeting notices of subsidiary bodies on the public body's website as well because that practice can offer some protection to a public body if the posted meeting notice is somehow not "continuously available" for the 48 hour period, pursuant to the following provision in section 2.02(c) of the OMA (emphasis added):
The public body conducting a public meeting shall ensure that at least one copy of any requested notice and agenda for the meeting is continuously available for public review during the entire 48-hour period preceding the meeting. The public body conducting a public meeting shall ensure that at least one copy of any requested notice and agenda for the meeting is continuously available for public review during the entire 48-hour period preceding the meeting. Posting of the notice and agenda on a website that is maintained by the public body satisfies the requirement for continuous posting under this subsection (c).
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