Professional Documents
Culture Documents
Our purpose in providing this report card is to motivate the Independent Commission to
better serve the public interest by informing them of their progress and work.
Our hope is that the Commission will view this mid-term Report Card and act upon areas
of weakness. And, in doing so, better assure the American public that they are doing the
job that needs to be done.
* We understand that much of the Commission's work is done behind closed doors. This
mid-term report card reflects the limited information that we have gleaned from open-
hearings, meetings and conversations with the 9/11 Commission staff director and 9/11
Commissioners. We are publishing this report card due to requests for information on the
Commission's progress from victims' families and concerned citizens, alike.
The FSC feels that expert witnesses invited to testify before the Independent Commission
should hold valuable and pertinent information that will yield fruitful insights into the
systemic government failures that occurred on 9/11. As an example, in the most recent
open hearing, we had an "expert" witness testifying on Iraq and no expert witness
testifying about Saudi Arabia. The FSC would like to draw attention to the fact that 15 of
the 19 hijackers were Saudi, and none were from Iraq. Additionally, the 900-page Joint
Inquiry Report shows no Iraqi connection to 9/11.
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The FSC did attempt to recommend both Open Hearing topics and Open Hearing expert
witness lists. Our requests were left unanswered. When invited to do so, the FSC has also
supplied information and questions to the Commissioners for each open hearing. We will
continue to do so. However, whether the Commissioners choose to use our line of
questioning remains in their sole discretion.
Frequency of Hearings C-
This Commission has been established for over nine months. Yet, there have only been
three open hearings. At its inception, the Commission promised the FSC that there would
be one open hearing per month.
To date, the FSC has expressed concern about the infrequency of open hearings. We have
also requested that certain months "double up" on hearings. These requests remain
unanswered.
The purpose and power of open hearings was illustrated during the Joint Inquiry's
investigation. Open hearings inform the public. Open hearings provide the impetus for
change by shedding sunlight onto problems and failures. Perhaps, most importantly, open
hearings ensure that not all of a committee's work remains classified.
To date, the FSC has requested the opportunity for family member testimony at each
hearing. These requests have remained unanswered.
One of the FSC's goals for this commission was to better inform the public. It is evident
that public awareness saves lives. United Airlines Flight 93 and Richard Reid the "shoe-
bomber" are excellent examples of the power and importance of public awareness.
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Interim reports are critical in making the public more aware. Two years have passed since
September 11th. Nine months have passed since this Commission has been established.
And yet, the public still remains very much in the dark.
The FSC is shocked with the use of "minders" in the interrogatory process. And, despite
the Commissioner's similar objection to "minders", as stated at the last press conference,
"minders" continue to be present during witness examination and questioning. The FSC
does not want "minders" present during any witness examination and questioning; it is a
form of intimidation and it does not yield the unfettered truth.
Also a concern of the FSC is the failure of this Commission to swear witnesses in prior to
their testimony. Without sworn testimony, witnesses cannot be held accountable for what
they testify about before the Commission. While given assurances by the Staff Director
that prior witnesses would be brought to task for their inaccurate statements made during
open hearings, the FSC has been given no evidence that has been done.
The FSC has additional concerns regarding the Commission's reticence to subpoena
witnesses. The FSC had wanted the Independent Commission to "subpoena early and
often."
The Commission's failure to subpoena, while polite, prohibits the ultimate claim by the
Commission that they, themselves, were the victims of "stonewalling" by the agencies,
organizations and councils. Nine months into their investigation, the Commission must
use every avenue possible to gain the information and access to witnesses needed to make
their investigation a success.
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The Commission is to identify, review, and evaluate the lessons learned from the terrorist
attacks from September 11th, 2001, regarding the structure, coordination, management
policies, and procedures of the federal government, and, if appropriate, state and local
governments and non-governmental entities relative to detecting, preventing, and
responding to such terrorist attacks."
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