Summary
A 33-year-old defense contractor was denied a security clearance under Guideline E (Personal Conduct) due to deliberate falsification on his security clearance application (SCA). The applicant failed to disclose a 1995 arrest in response to Question 26 of the SCA.
While the applicant had also been alleged to have used marijuana, this issue was not a basis for denial. The marijuana use occurred beyond the seven-year disclosure period required by Question 27 of the SCA, and therefore, no falsification was present regarding that information.
The denial stemmed from the deliberate omission of the 1995 arrest. The judge determined that the applicant's belief that the arrest had been expunged was not legally supported, leading to a finding of untrustworthiness. No mitigating conditions were found applicable to the applicant's failure to disclose the arrest, resulting in the denial of his security clearance.
Why the Applicant Was Denied
- Applicant deliberately lied on his security clearance application regarding a 1995 arrest.
- The applicant's belief that the arrest was expunged was not legally supported, leading to a finding of untrustworthiness.
- No mitigating conditions were applicable to the applicant's failure to disclose the arrest.
Conditions Referenced
- E2.A5.1.2.2raisedDeliberate Omission, Concealment, Falsification or Misrepresentation of Relevant and Material Facts
Key Rule Quoted
“[N]o one has a 'right' to a security clearance.”
Procedural Posture
- SOR issuedJul 30, 2003
- Answer filedSep 22, 2003
- Hearing heldMar 3, 2004Applicant waived the lack of 15 days notice before the hearing date.
- Decision dateJul 23, 2004
Cite For
- Deliberate Falsification of Security Clearance Application Under Guideline E
- Impact of Misunderstanding Legal Status of an Arrest on Security Clearance Eligibility
- Lack of Applicable Mitigating Conditions for Personal Conduct Issues