<?xml version="1.0" encoding="UTF-8"?>
<item xmlns="http://omeka.org/schemas/omeka-xml/v5" itemId="30691" public="1" featured="0" xmlns:xsi="http://www.w3.org/2001/XMLSchema-instance" xsi:schemaLocation="http://omeka.org/schemas/omeka-xml/v5 http://omeka.org/schemas/omeka-xml/v5/omeka-xml-5-0.xsd" uri="https://www.911digitalarchive.org/items/show/30691?output=omeka-xml" accessDate="2026-05-02T23:52:58-04:00">
  <collection collectionId="24">
    <elementSetContainer>
      <elementSet elementSetId="1">
        <name>Dublin Core</name>
        <description>The Dublin Core metadata element set is common to all Omeka records, including items, files, and collections. For more information see, http://dublincore.org/documents/dces/.</description>
        <elementContainer>
          <element elementId="50">
            <name>Title</name>
            <description>A name given to the resource</description>
            <elementTextContainer>
              <elementText elementTextId="264506">
                <text>Department of Justice Emails</text>
              </elementText>
            </elementTextContainer>
          </element>
          <element elementId="41">
            <name>Description</name>
            <description>An account of the resource</description>
            <elementTextContainer>
              <elementText elementTextId="264507">
                <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>
              </elementText>
            </elementTextContainer>
          </element>
        </elementContainer>
      </elementSet>
    </elementSetContainer>
  </collection>
  <itemType itemTypeId="18">
    <name>September 11 Email</name>
    <description/>
    <elementContainer>
      <element elementId="65">
        <name>September 11 Email: Body</name>
        <description>The basic content, as unstructured text; sometimes containing a signature block at the end.</description>
        <elementTextContainer>
          <elementText elementTextId="381052">
            <text>                              

                                   November 9, 2001

               Comments on Regulations to Implement the
               Victim Compensation Fund Legislation


Kenneth L. Zwick, Director
Office of Management Programs
Civil Division
U.S. Department of Justice
Main Building, Room 3140
950 Pennsylvania Avenue
Washington, D.C. 20530

Dear Mr. Zwick:

Enclosed is a  hard copy of an e-mail comment that I submitted. My e-mail server stated that this e-mail was undeliverable to victimcomp.comments@usdoj.gov

Since my e-mail was undeliverable, please accept this mail comment.


The following comments are submitted pursuant to the Notice of Inquiry and Advance Notice of
Rulemaking with respect to regulations implementing Public Law 107-42 establishing the 
September 11th Victim Compensation Fund of 20001.

INTRODUCTION

The basic thrust of my comments are to call attention to work of the Presidential
Commission on Catastrophic Nuclear Accidents,           , and to 
its Report to Congress, volumes 1 and 2, dated August, 1990.

While this report submitted pursuant to the 1988 amendments of the Price-Anderson Act,
(Public Law 100-408) was a comprehensive study of the appropriate means of fully
compensating victims of catastrophic nuclear accidents (greater, than approximately $7.3
billion) many of the issues addressed in the rulemaking to implement the September 11th Fund
were considered in detail in this report from both a legal and public policy aspect. Specifically, with respect to one of the most important issues, the Presidential Commission considered the degree to which payments from collateral sources should be used to offset recovery through a judicial process containing administrative features designed to speed the resolution of cases. The administrative process set forth in the September 11th Fund legislation follows very closely the system set forth in the Presidential Commission report. 


COLLATERAL SOURCES

On pages 93 to 95 of its August, 1990 report the Presidential Commission on Catastrophic
Nuclear Accidents recommends that payments from collateral sources should not be used to
offset recovery except when a claimant has demanded plenary adjudication  (i.e. trial rather
than than the proposed administrative claim resolution process). Further, the Presidential
Commission recommended that in no case should proceeds from life insurance policies be used
to offset recovery.

I recognize that the September 11th Fund Legislation in Section 405 (b)(6) provides that the
Special Master shall reduce the amount of compensation...by the amount of collateral source
compensation the claimant has received or is entitled to receive as a result of the terrorist attacks. While the definition of collateral source means all collateral sources including life insurance, pension funds, death benefit programs and payments by Federal, State or local governments, an open question is whether collateral source compensation includes receipts from charitable donations. In this regard, the consideration of the pros and cons of subtraction of collateral sources in general discussed by the Presidential Commission on pages 93 to 95 of its report, are germane.

The Presidential Commission noted that the collateral source rule usually bars a defendant from introducing evidence that a claimant had received compensation from collateral sources such as insurers or governmental benefit programs. The rationale seemed to be that the defendant (called the tortfeasor in the report) should be required to pay the full extent of the damages his conduct had caused, and should not benefit through a reduced award as a result of any compensatory payments received by the plaintiff from third parties. The Presidential Commission noted that "although double recovery arguably produces a windfall for the plaintiff, the rule reflects the value judgement that it is preferable to overcompensate a victim than to inadequately penalize a wrongdoer."

The Presidential Commission noted that with tort reform, the collateral source rule has
increasingly been subject to debate. At the time of the 1990 report it was noted that 25 states and two federal statutes had restricted or abolished the application of the rule. The
Presidential Commission felt that the collateral source rule should have little force under the special scheme of the Price-Anderson Act because compensation, rather than deterrence, is the principal goal of the Act. Further, the retributive function of the collateral source rule is also not relevant in the Price-Anderson context because losses are borne by the entire nuclear industry and its ratepayers rather by the tortfeasor.

Nevertheless,reducing awards by the full amount of collateral recovery was veiled by the
Presidential Commission as possibly raising substantial considerations of fairness. Where
collateral protection has been obtained through the payment of premiums for insurance, for
example, reducing awards by the full collateral recovery would result in net economic loss to the claimants.

While the Presidential Commission did not consider charitable contributions in its analysis (a non-issue with respect to nuclear accidents) the fairness argument would seem to apply to 
charitable gifts. The charitable contributions whether made by individuals and organizations
irrespective of what other compensation, were made by individuals and organizations
through lawsuit, the plaintiff might receive. An after-the-fact use of these funds to reduce
taxpayer burden was probably not one that was contemplated by the charity contributers and
in at least with respect to this collateral source, the possible "evils" of so-called
overcompensation (if such a concept could even exist in the case of these horrendous deaths)
must yield to basic fairness for the plaintiffs.

OMBUDSMAN

While not considered in the Presidential Commission report, the regulations under the
September 11th Fund legislation should acknowledge that the use of the fund will entail
questions of sensitivity and tact that may be overlooked in the legally-driven compensation
scheme with a 120 day deadline for awards. For this reason I recommend that the rules
establish at the ouset an Office of Ombudsman, not as another source of special pleading, but as an assistant to claimants and others through the bureaurocratic maze.

PART-TIME AND VOLUNTEER ASSISTANCE

These are new and untried approaches both for the plaintiffs and judicial and executive
governmental bodies involved. The special master and others involved in carrying out the
provisions of the statute should look to experienced persons such as myself who have been 
involved in consideration of the pertinent issues in these and other compensation schemes to 
assist on a part-tome compensated or volunteer basis.

Individual Comment
Bethesda, MD
 
</text>
          </elementText>
        </elementTextContainer>
      </element>
      <element elementId="66">
        <name>September 11 Email: Date</name>
        <description>The local time and date when the message was written.</description>
        <elementTextContainer>
          <elementText elementTextId="381053">
            <text>2001-11-09</text>
          </elementText>
        </elementTextContainer>
      </element>
    </elementContainer>
  </itemType>
  <elementSetContainer>
    <elementSet elementSetId="1">
      <name>Dublin Core</name>
      <description>The Dublin Core metadata element set is common to all Omeka records, including items, files, and collections. For more information see, http://dublincore.org/documents/dces/.</description>
      <elementContainer>
        <element elementId="50">
          <name>Title</name>
          <description>A name given to the resource</description>
          <elementTextContainer>
            <elementText elementTextId="381054">
              <text>dojW000801.xml</text>
            </elementText>
          </elementTextContainer>
        </element>
      </elementContainer>
    </elementSet>
    <elementSet elementSetId="4">
      <name>911DA Item</name>
      <description>Elements describing a September 11 Digital Archive item.</description>
      <elementContainer>
        <element elementId="52">
          <name>Status</name>
          <description>The process status of this item.</description>
          <elementTextContainer>
            <elementText elementTextId="381055">
              <text>approved</text>
            </elementText>
          </elementTextContainer>
        </element>
        <element elementId="53">
          <name>Consent</name>
          <description>Whether September 11 Digital Archive has permission to possess this item.</description>
          <elementTextContainer>
            <elementText elementTextId="381056">
              <text>full</text>
            </elementText>
          </elementTextContainer>
        </element>
        <element elementId="54">
          <name>Posting</name>
          <description>Whether the contributor gave permission to post this item.</description>
          <elementTextContainer>
            <elementText elementTextId="381057">
              <text>yes</text>
            </elementText>
          </elementTextContainer>
        </element>
        <element elementId="55">
          <name>Copyright</name>
          <description>Whether the contributor holds copyright to this item.</description>
          <elementTextContainer>
            <elementText elementTextId="381058">
              <text>yes</text>
            </elementText>
          </elementTextContainer>
        </element>
        <element elementId="56">
          <name>Source</name>
          <description>The source of this item.</description>
          <elementTextContainer>
            <elementText elementTextId="381059">
              <text>born-digital</text>
            </elementText>
          </elementTextContainer>
        </element>
        <element elementId="57">
          <name>Media Type</name>
          <description>The media type of this item.</description>
          <elementTextContainer>
            <elementText elementTextId="381060">
              <text>email</text>
            </elementText>
          </elementTextContainer>
        </element>
        <element elementId="59">
          <name>Created by Author</name>
          <description>Whether the author created this item.</description>
          <elementTextContainer>
            <elementText elementTextId="381061">
              <text>yes</text>
            </elementText>
          </elementTextContainer>
        </element>
        <element elementId="60">
          <name>Described by Author</name>
          <description>Whether the description of this item was submitted by the author.</description>
          <elementTextContainer>
            <elementText elementTextId="381062">
              <text>no</text>
            </elementText>
          </elementTextContainer>
        </element>
        <element elementId="61">
          <name>Date Entered</name>
          <description>The date this item was entered into the archive.</description>
          <elementTextContainer>
            <elementText elementTextId="381063">
              <text>2001-11-09</text>
            </elementText>
          </elementTextContainer>
        </element>
      </elementContainer>
    </elementSet>
  </elementSetContainer>
</item>
