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                <text>The Department of Justice received more than 11,000 e-mails in response to the agency's public solicitation for comments upon its plans to distribute the September 11th Victim Compensation Fund of 2001 established by Congress to benefit the victims of September 11 and their families.  These e-mails have been organized here by date.</text>
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November 26, 2001

VIA EMAIL AND OVERNIGHT MAIL
DELIVERY


September 11th Victim Compensation Fund of 2001
Note of Inquiry and Advance Notice of Rulemaking 
U.S. Department of Justice 
950 Pennsylvania Avenue, NW Room 3140
Washington, DC 20530

          Re:  Comments to the Notice of Inquiry and advance notice of rulemaking 
               for the September 11th Victim Compensation Fund of 2001 Dated  
               November 5, 2001


To the Office of Management Programs:
     
          Please accept our comments to the advance notice of rulemaking for the 
September 11th Victim Compensation Fund of 2001 offered for public review on 
November 5, 2001.  We provide these comments as a leading global financial services 
firm headquartered in New York with over $42 billion in stockholder equity and over 
$799 billion in assets.


          Our perspective on the Fund, and specifically its system for processing and
compensating the victims of the September 11 attacks, comes from our extensive 
knowledge and operational experience in the administration of large and complex trusts 
and what is entailed in carrying out a massive compensation project.  It is based on our 
200 years of experience in providing trust and payment services to clients.  Trust and 
fiduciary services are a core competency of the Firm and JPMorgan currently manages 
over $2.2 trillion in trust and custodial assets.  We are administering the $5 
billion National Tobacco Grower Settlement Trust, which makes annual payments to nearly one
half million tobacco growers and quota holders.  We regularly assist in numerous
 settlement payment requirements arising from complex litigation.

          As an institution, JPMorgan is deeply committed to providing whatever assistance
or resources we have toward the effort of serving victims of the September 11th terrorist attacks.

We believe this is an effort that must succeed for the sake of our community  and the nation.
               
Our experience in these matters indicates that design of the system is the absolutely 
critical component to the successful administration of a large and public trust  settlement. 
 The key is simplicity in design of the system.  To be successful, the system implemented 
here must rely on data management and data aggregation capacity, smart and
 professional victim assistance counselors, multi-faceted outreach, and the ability to
 transfer funds quickly and accurately.

          Congress created the compensation fund as an alternative to litigation for victims
of the September 11th terrorist attacks.  As the November 5th notice states:

          "Litigation to obtain damages, particularly in a massive tort 
               context, can be a lengthy, uncertain, process, filled with 
          substantial risk and expense.  The purpose of this compensation
          program is to offer all potential claimants a more expeditious,
          predictable, and less complex alternative to that process."

          
          We limit our comments to the fundamental operational decisions and practices
that will enable the Fund to meet the intent of the legislation -- delivery of compensation
payments to victims in an accurate, predictable and expedited manner.

          The law requires a very rapid turnaround from the filing of claims to the payment
of compensation to victims who have suffered deeply from the extraordinary events of
September 11th. The legal deadlines can be met, but only if the guiding philosophy in the
administration of the Fund remains that it be a less complex alternative to litigation.  To the degree that decisions are made that move away from more standardized practices, the Fund will approach litigation in complexity.  Operationally, the number of claim disputes will increase, limiting the Fund's ability to rapidly distribute payments.

          At JP Morgan we appreciate the opportunity to contribute our experience in trust
management to this process of determining how to rapidly distribute assistance to those 
who were harmed, to minimize the incidents of disputes, and to ensure that the Special 
Master is able to discharge his responsibilities in time prescribed in the law and in a 
manner which will provide maximum benefit to the victims while minimizing the administrative
costs.  

                       Topics # 1 and 2:    
The Forms To Be Used in Submitting Claims Under This Program and the 
          Information To Be Included on the Claims Form

          Claims forms should be designed to elicit the necessary information without
being complex and confusing.  They need to support a transparent system based on careful
cataloging and assimilation of documents , thereby allowing the Fund to make quick and
accurate payments to eligible victims.  Fundamental to the design of these forms must be
compatibility with existing data management systems.  Accurate determinations to the key
questions of whether the claimant was physically present and whether the claimant suffered
physical harm will require supporting third party documents.  To meet the twin goals of speed and accuracy these documents must respond to precise questions designed 
to provide the essential data supporting the claim so as to require a minimum amount of
document interpretation. 

The unique and terrible nature of this tragedy means that many claims should be easily
determined.  This requires a form designed to expedite processing and permit speedy awards. 
Our recommendation is that forms be designed so the complexity of various claims can be easily differentiated, thereby allowing awards to be made more quickly in the simpler cases. It is essential the system be viewed as fairly and openly administered and that the basis for awards can be easily understood.


CLAIM FILING PROCEDURE

For efficiency and to address the question of when the 120-day determination clock begins, the
Special Master should not be part of the claim filing process.  Rather, claim filing should be
considered a two step process.  The first step would be a review of claim forms for completeness
and accuracy by a third party.  The second step would be the  forwarding of the claim forms by
the third party, after they are deemed ready, to the Special Master.  Only when received by the
Special Master would they be considered officially filed and trigger the 120-day determination period.

DESIGN FORMS

The form's design and the information to be included should adhere to the following principles:

          Good data
     
          It is absolutely essential that the forms capture the needed data.  This will require 
          experience in system design and management based on the knowledge of what
          information is critical and the capability to confirm the accuracy of the 
          information.  Form design should avoid open-ended questions.  Instead the forms' 
          design must produce very specific and exact data.  Secondly, each data field 
          should request only one type of data to prevent multiple inputs of the same 
          information within the form, thereby avoiding the potential of discrepancies.

          Standardization

          The form design should be simple to complete and standardized  to ensure that
          the key data is captured for all claims.  Instructions should be written in plain 
          language, not legalese.  the design should also make data entry simple.
          Additionally, the form should be divided into clear sections to again facilitate
          data entry and information research.  This will help accelerate classification and    
          preparation of claim report.  Lastly there should be one common process with a
          common set of forms, so that every claim includes the same information and   
          claimants are not confused by which form to file.

          Machine readability

          With such a tight timeframe and the need to keep consistent and accurate records,
          it is extremely desirable to create a system with forms that can be scanned into a 
          computer system.

          Transparency
          
          A system design that focuses on simplicity and is easy to understand will stand up
          to public scrutiny, eliminate confusion, and minimize disputes.

          Predictability
     
          An application system based on transparency, simplicity, and uniformity of
          supplementary documentation will lend itself to fairness and predictability of
          outcome.  The claims certification process should be so predictable that any
          person looking at an application would make the same judgment as to validity
          of the application or the need for additional information

          Designed to expedite awards/Pre-awards
          
          The application should incorporate a design that would gather the fundamental 
          information up front so that you can provide qualifying victims a pre-award.  In
          other words, it is possible to design a system where especially needy victims who
          have already suffered economic harm can receive interim relief.  Supplementary
          data can then be assembled to complete the application and determine a final
          award.  

          Multi-lingual

          The application design and information requirements should take into
          consideration the needs of non-English speaking claimants.
                                
                                
                           Topic # 3 
   Procedures for Hearing and the Presentation of Evidence  

With the large number of potential claimants and only 120 days to make determinations,
the system will need to have a reliable record system supported by documents requiring a 
minimal amount of interpretation and so that the system avoids becoming subjective.

          A properly designed application and certification process will minimize the
 number of claims disputed as to qualification or amount of claim. Nevertheless, some 
number of cases will simply be disputed.  A quick and informed process of claim 
presentation is necessary.  The decisions should be quick and the relevant principles
 immediately recorded as consistent with the standards and precedents defined at the 
outset of the program.  As an example of how a standardized, operationally sound 
program can expedite claim payment and limit challenges, JPMorgan consulted with the
Commonwealth of Kennedy on a claim certification and dispute resolution program for 
tobacco farmer claims.  There were more than 140,000 valid claimants, and disputes were 
heard in fewer that 150 cases, with funds being paid out for all claimants 90 days after
the applications were received.  A timetable, like what is envisioned for the September
11th Victims Funds is complex, but doable.

          Simplicity
          
          The fewer the variables, the faster and more accurately the payments can be made
          to claimants.
     
          Speed
          
          Direct and immediate payments will make clear that the September 11th Fund has
          only one goal, rapidly providing assistance to victims.  the process for submitting 
          evidence should be designed to expedite claim management, reduce the need for
          third party assistance, and reduce the potential for fraud.

          Access to Records

          The compressed schedule will also put a premium on the need for accurate
           records which are both readily accessible and easy  to interpret.

          Responsive and Accurate

          The records system must have the capability to track and respond to pre and post
          payment administrative issues.  The Special Master needs to have confidence that
          the right funds get to the right person.


                           Topic #4:
Procedures to assist an Individual in Filing and Pursuing Claims Under this Title   

          Outreach to the victims who are eligible for compensation must be professional,
comprehensive, and personal.  Information about how to apply for compensation should
be shared with victims using all forms of the media.  Claim applications need to be 
straightforward.  The staff who speak directly with the victims must be knowledgeable,
professional, and sensitive.  A well designed outreach and victim's assistance program 
should:                         
                              
          Keep forms simple and available

          Forms should be easily obtained, understandable, and easy to complete.

          Provide access to non-English speaking
          
          The application process should be accessible to non-English speaking claimants.

          Utilize a Website
          
          A website should be designed and put up immediately to serve as an information 
          source for victims and to enable electronic filing of applications.

          Public outreach meetings

          Highly trained individuals should hold a series of informational meetings in the
          metropolitan area to bring applications to victims and help them understand the 
          process.

          Frequently Asked Questions
          
          A list of frequently asked questions should be prepared as quickly as possible and
          made widely available.

          Media

          The outreach campaign should make aggressive use of the media when the
          program is launched to convey information and to encourage immediate
          responses.


          Disaster Relief Organizations

          The Special Master should meet with the Disaster Relief Organizations who are
          already responding to the tragedy both for victim outreach but also as part of the  
          design process for determining assistance from collateral sources.

          Expertly staffed 800 number
          
          Not everyone has internet access and an expertly staffed 800 number with 
          professionals who are capable of leading a victim through the application process
          will be for many their primary interaction with the September 11th Victim Fund.  
                         


          Computer tracking/Contact log
          
          All interactions should be tracked and logged to keep clear and accurate files on 
          victims.

                           Topic #5:
                      Claimant Eligibility

          
          The Special master needs to establish clear rules for determining claimant
eligibility and have in place definitions of "personal representatives" and a process for how to identity is determined.  This is especially important with a rolling claim award program where applications and awards will not be all made at the same time.  With this Fund, there is the potential that a claim could be awarded to an individual claiming to be the personal representative before the official personal representative even applies.

          These personal representative determination rules can be reflected in the design of the application and the record management system.  One component of the system should be a design to flag duplicative claimants for eligible individuals.  Accurate record keeping for these cases is at a premium.  In cases where there is uncertainty or a dispute over who is the appropriate personal representative of the victim, we would advise making a claim determination and holding the award payment in escrow.


                            Topic #6
               Nature and Amount of Compensation


          Based on our experience with the preference of beneficiaries in other trusts, the
Special Master may need to consider lump sum cash payments to the victims as their
preferred award option.  There are potential advantages to such a system, although an 
annuity plan may be the preferred course.  In this special case, money gets to the victims
immediately.  It would also enable the Special Master to complete the program faster.


          Economic Loss/Noneconomic loss

          In a program with such a large number of potential claimants, there is a strong
          need  to err on the side of simple criteria, defining very finite standards which
          include a manageable number of variables in regard to situation and amount of 
          claim.  The system should asking open-ended questions calling for description as
          opposed to using very specific questions designed to elicit clear data.  As an
          example a question which asks for a description  of a victim's compensation will
          not yield as complete data as questions designed to ask specifically about the
          individual elements of a compensation plan.  The goal should be to allow a 
          nearly immediate determination of the claim with the proper documentation 
          and information to minimize the need to exercise judgment or discretion as
          to individual cases.

          Fraud Prevention Measures       
          
          There are three principles our experience has shown are effective tools in 
          preventing fraud.  First, create clear documents standards in the application 
          process.  Second, make quick determination and awards where possible; and 
          third, offer financial advisory assistance to claimants after awards are made.  A
          balance must be struck between sufficient supplementary document requirements
          and creating a process which is so onerous that potential claimants prefer the 
          alternative of litigation.
          
               Define acceptable documentation
     
             It is absolutely critical to establish at the front end what information is
               required for an application and what will constitute acceptable 
               documentation to support the claim.  Uniformity and standardization will 
               make it harder to manipulate the system.

               Build compatible data exchange with collateral source

               An experienced and sophisticated trust manager will have the capacity to 
               develop data exchange capabilities with other record keepers in order to 
               collaborate or fill in the information gaps in victim applications.

              Establish third party sources for immediate verification
               
            As part of the process for defining acceptable documentation, it is vital to
               establish acceptable third party sources to facilitate the verification of
               applications.

               Cross check data
               
               The data management system should automatically cross check the data
               entered on forms with related data contained in supplementary documents.
               For example, wages declared on the form should be cross-checked with
               income filed on a 1040 form.  Supplementary documents should also be 
               inspected for tampering.
     
               Quick determination to eligible victims with clear needs 

               Quick determinations will demonstrate a commitment  to distributing
               payments to victims and will minimize the need for unnecessary
               intermediary fees.
                    
               Bring in team of investment advisors

               Though not explicit in the proposed rulemaking, the government should
               consider the potential for post award fraud and how that can be 
               minimized.  Victims who receive large compensation benefits may not be
               prepared to manage those funds and may be vulnerable to bad advice.  As
               an operational issue, in addition to the data management and payment of
               awards, JPMorgan strongly recommends that a team of qualified 
               investment advisors be offered as an additional victim's counseling
               resource to help beneficiaries think through how to manage those funds.
  


          JPMorgan appreciates the opportunity to submit comments for your review and 
urges the Department to consider how these fundamental operational decisions will effect
the ability of the Fund to be a viable alternative to litigation by enabling it to expedite the fair and accurate delivery of compensation to the victims of this horrible tragedy.

                            Comments by:
                       JP Morgan
 
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