Summary
A 45-year-old subcontract administrator for a defense contractor was denied a security clearance under Guideline J (Criminal Conduct) due to a conviction for aggravated vehicular homicide in 1983. This conviction resulted in a statutory prohibition under 10 U.S.C. § 986(c)(1), which was the sole basis for the denial.
While the applicant demonstrated significant rehabilitation and community involvement, and mitigating conditions MC 1, MC 2, and MC 6 were applied, the judge concluded that the statutory prohibition legally precluded the granting of a clearance.
Therefore, despite evidence of rehabilitation, the serious nature of the criminal offense and the specific statutory prohibition led to the denial of the security clearance.
Why the Applicant Was Denied
- The applicant was convicted of aggravated vehicular homicide, which is a serious criminal offense.
- The denial was based solely on the statutory prohibition under 10 U.S.C. § 986(c)(1).
Conditions Referenced
- DC 2raisedCriminal Conduct
- MC 2appliedIsolated Incident
- MC 1appliedNot Recent
- MC 6appliedSuccessful Rehabilitation
Key Rule Quoted
“"No one has a 'right' to a security clearance."”
Procedural Posture
- SOR issuedAug 8, 2006
- Answer filedSep 27, 2006
- Hearing heldFeb 8, 2007
- Decision dateMar 15, 2007
Cite For
- Statutory Prohibition Against Granting Security Clearance Under 10 U.S.C. § 986(c)(1)
- Consideration of Rehabilitation in Security Clearance Determinations
- Impact of Serious Criminal Conduct on Security Clearance Eligibility