FTC: Consumer Privacy Comments Concerning Noragon & Associates--P974806

RUSSELL L. NORAGON
AND ASSOCIATES, PRIVATE INVESTIGATIONS
ROSEWOOD AVE., SUITE E
CAMARILLO, CA 93010

LIC.
PI 7258

PHONE
(905) 484-1799

June 19, 1997

Secretary, Federal Trade Commission
Room H-159
Sixth and Pennsylvania Avenue, NW
Washington, D.C. 20580

RE: Support of Self Regulation

Dear Mr. Secretary:

In response to the Commission's request for additional comments following the hearing held June 10, 1997, as a licensed private investigator I am a regular user of public and non-public records (such as credit headers), and support the proposition of self regulation.

The data that we regularly access and use in our reports to clients has a beneficial use and need in society. It is important that a free flow of information be available to support commerce and our judicial system. It also allows the public, which does not have the resources to manage all of the problems they are faced with, to defend itself without looking to government for help. Further regulation would create additional barriers to us that today saves lives, prevents fraud and brings families together.

The law, courts and marketplace require that we keep the information we develop confidential and maintain a high degree of accuracy in our reports. To have the targets of our investigations able to browse around in our inquiries and data, or opt out of the databases that are private and public, would be the death of our industry and freedom. The prevention of wrong doing and protection of fraud are real tests of the use of data.

Privacy protection can be managed through our industries' willingness and desire to self regulate the use and distribution of data. This industry must have the opportunity to self regulate and welcomes the government's help in enforcing the rules through the industries' efforts. I ask that you support self regulation and work with the industry to successfully bring about policies and procedures that we can all live with in a free society.

Respectfully,

Russell L. Noragon

Russell L. Noragon
NORAGON & ASSOCIATES